Title: Documenting Business Policies and Procedures
1Credit Reports and SSN Trace Products August 27,
2007 Mike Coffey President Imperative Information
Group Fort Worth, Texas
NAPBS Education Series
2Speaker
- Mike Coffey is president of Imperative
Information Group, an investigations firm
specializing a business due diligence. - He is a frequent speaker on the topic of
background screening and due diligence. He
conducts a two-day seminar on background
investigations for industry peers, police
agencies, and corporate security professionals. - Mike is past co-chair of the NAPBS Ethics and
Accreditation Committee and currently serves on
the NAPBS Board of Directors. - He is a Gemini and likes slow dancing, walking
barefoot on the beach, and old episodes of
Moonlighting.
3Topics
- Legal Issues
- Drivers Privacy Protection Act
- Gramm-Leach-Bliley Act
- Fair Credit Reporting Act
- Title VII of the Civil Rights Act of 1964
- Credit Reports
- SSN Trace Products
4Drivers PrivacyProtection Act (DPPA)
- Restricts sale of drivers personal information
without a permissible use. - Federal law with various state implementations
that are more restrictive.
5Drivers PrivacyProtection Act (DPPA)
- Personal information may be disclosed as follows
(3) For use in the normal course of business by a
legitimate business or its agents, employees, or
contractors, but only (A) to verify the
accuracy of personal information submitted by the
individual to the business or its agents,
employees, or contractors and (B) if such
information as so submitted is not correct or is
no longer correct, to obtain the correct
information, but only for the purposes of
preventing fraud by, pursuing legal remedies
against, or recovering on a debt or security
interest against, the individual.
6Drivers PrivacyProtection Act (DPPA)
- Personal information may be disclosed as follows
(13) For use by any requester, if the requester
demonstrates it has obtained the written consent
of the individual to whom the information
pertains.
7Drivers PrivacyProtection Act (DPPA)
- DPPAs requirements flow down to the end user in
a variety of products - Driving records (MVRs), whether purchased
directly from the state or through a third-party. - Databases available from third-party data brokers
who often compile the information from multiple
sources.
8Gramm-Leach-BlileyAct (GLB)
- aka The Financial Modernization Act of 1999
- Limits access to personally identifiable
financial information held by or originating
from consumer transactions with financial
institutions. - Name
- Date of birth
- Address
- Social Security Number
9Gramm-Leach-BlileyAct (GLB)
- Permissible purposes for accessing PIFI under
GLB
- As necessary to effect, administer, or enforce a
transaction requested or authorized by the
consumer - With the consent or at the direction of the
consumer - To protect against or prevent actual or potential
fraud, unauthorized transactions, claims, or
other liability
10Gramm-Leach-BlileyAct (GLB)
- GLBs requirements flow down to the end user in a
variety of products - Credit reports
- Credit bureau-supplied SSN trace products
- Databases available from third-party data brokers
who often compile the information from multiple
sources.
11Fair Credit Reporting Act (FCRA)
Covers consumer reports, which in todays context
would mean any information the screening firm
provides the employer about the applicant
(consumer). See Mary Poquettes excellent
overview of FCRA compliance in the May 2007
webinar materials.
12Fair Credit Reporting Act (FCRA)
- Examples of Coverage
- Employment-related background checks, including
provision of criminal records, verification of
education or licensure, or obtaining references
from previous employers - Credit reports
- Databases of employer or institution-supplied
employment or education history maintained by
third parties like The Work Number or the
National Student Clearinghouse - Public record databases
13Fair Credit Reporting Act (FCRA)
- What Cant Be Reported?
- Bankruptcies more than 10 years old,
- Civil suits, civil judgments, arrest records, tax
liens, collection or charge off accounts, more
than seven years old, - Any other negative information, with the
exception of criminal convictions, more than
seven years old.
14Fair Credit Reporting Act (FCRA)
- Salary Exception to the Age Limits
- The one employment-related exception to these
limitations is granted when the consumers annual
salary equals, or may be reasonably expected to
equal, 75,000 or more.
15Fair Credit Reporting Act (FCRA)
- Accuracy of information (all information)
- Whenever a consumer reporting agency prepares a
consumer report it shall follow reasonable
procedures to assure maximum possible accuracy of
the information concerning the individual about
whom the report relates.
16Fair Credit Reporting Act (FCRA)
- Public Record Information (all consumer reports)
- The CRA must ensure that the information reported
matches the status of the item at the time the
report is requested, or - The CRA must notify the consumer that the
negative public record information is being
reported, along with the name and address of the
employer to whom the report is being provided.
17Title VII ofThe Civil Rights Act of 1964
- Prohibits employment discrimination on the basis
of race, sex, color, national origin, and
religion. - Sometimes seemingly color-blind background
check items such as arrest records and credit
reports have been found to disproportionately
exclude minority groups.
18Title VII ofThe Civil Rights Act of 1964
- United States v. City of Chicago - the court held
that a police department could use the credit
reports of applicants only if using the
information - does not have an "adverse impact" on a protected
class or - is job related and consistent with business
necessity.
19Title VII ofThe Civil Rights Act of 1964
EEOC v. United Virginia Bank/Seaboard National
Although the use of credit reports did adversely
impact a protected group, the court concluded
that a bank had a business need to conduct
pre-employment credit checks because employees
handle large amounts of cash.
20Title VII ofThe Civil Rights Act of 1964
- The safe bet would be for CRAs to encourage
employer-clients to carefully review their
business rationale for requesting
employment-credit reports. - A good question to ask might be What do you hope
to learn from employment credit reports? There
may be a better product offering that will
provide information more relevant to the
employers concern and the position applied for.
21Employment Credit Reports
- A credit report may be pulled for employment
purposes with existing FCRA-compliant disclosure
and authorization documents used for background
investigations. - No special release is required from the
applicant.
22Employment Credit Reports
- Reports may include
- Credit header information
- Accounts turned over to collection agencies
- Account performance history
- Employment history (limited and not always
reliable) - Public records database (usually liens and
judgments) - Inquiry history (who else has pulled the report)
23Employment Credit Reports
- Credit reports pulled for employment purposes
will not affect the consumers credit score. This
is often a concern for employment applicants. - The inquiry will be reflected on the consumers
credit report, typically listing both the
end-user (employer) and the CRA. A current
employer who routinely pulls credit on employees
may see the inquiry of another employer.
24Typical Know Your Customer Requirements
- Membership Application detailing information
about the employers business lines, ownership,
banking relationships, and leadership. - Proof of business legitimacy (phone book list,
corporate records, bank account verification,
etc.) - On-site visit by bureau-approved firm (they
basically look around to see if the company seems
legit and may ask to see where reports will be
stored).
25Typical Uses forEmployment Credit Reports
- Measure the fiscal responsibility of those with
fiduciary decision-making responsibility. - Evaluate the risk associated with placing someone
in a cash handling position or with access to
significant assets.
26Pitfalls in the Use ofEmployment Credit Reports
- The existence of multiple medical/ hospital liens
or related collection items may put unwanted
medical information in employers hands. - Explaining negative credit report information may
necessitate that the applicant reveal personal
information regarding marital status or other
life issues, opening the employer up to other
Title VII claims.
27SSN Trace Products
- The purpose of identity development is to
- Substantiate (not verify) the identity
information provided by the applicant - Determine what research to conduct on the
applicant - Identify potential landmines
28SSN Trace Products
- Credit bureau headers will provide the names and
addresses associated with an SSN. They sometimes
provide full or partial dates of birth. Most
entries will have first/last reported dates.
Often the most up to date records (within last
thirty days). - Aggregate databases (e.g., Accurint, NBDs AIM
product) will often contain the records of
multiple credit bureaus headers along with
information from some states drivers license
records and other proprietary sources. Typically
more robust list of names and addresses.
29Where Credit HeaderInformation Comes From
- Information is reported by merchants, banks, and
others when retrieving a consumers credit report
(the information was typically initially provided
by the consumer on an application) - Financial institutions often dump their
historical consumer data into the credit bureaus
records.
30Where Credit HeaderInformation Comes From
- The data provided by credit bureau subscribers is
full of typographical errors, misspellings of
names and addresses, miskeyed ZIP codes
(sometimes leading to entirely incorrect cities
and states), and miskeyed SSNs (leading to new
names being associated with an SSN). - It cannot be assumed to be accurate and reliable.
31Where Credit HeaderInformation Comes From
- The dates on the credit header records are those
on which the records were first and last reported
to the credit bureau by a bureau subscriber. - These ARE NOT necessarily the dates the consumer
first or last used the name or address.
32How SSN Trace Products Are Used
- Identify names strongly associated with an SSN to
determine what names should be researched. - Identify locations strongly associated with an
SSN to determine what jurisdictions should be
researched. - Because of erroneous data, the data should be
evaluated prior to use.
33Common Issues with SSN Trace Products
- No records found for the SSN due to
- The applicants limited credit history, often due
to their young age - Data entry error by the client
- Reporting error by the applicant
- Fraud by the applicant
34Common Issues with SSN Trace Products
- Incorrect names in the results due to
- Typos by those providing information to the
credit bureau - Identity fraud by the applicant or against the
applicant - Client or applicant error in providing the SSN
35Common Issues with SSN Trace Products
- Incorrect addresses in the results due to
- Typos by those providing information to the
credit bureau (transpose two numbers in a ZIP
code and get a different city and state) - Failure in logic in the credit bureaus or data
aggregators database
36Who Should Evaluate the SSN Trace Results?
- Option 1 The employer client
- Gives client full control of what is researched
- Assumes (often incorrectly) that the client is
savvy enough to understand the nuances in the
data and determine which records can be strongly
associated with the applicant.
37Who Should Evaluate the SSN Trace Results?
- Option 1 The employer client
- Once provided to the employer, the SSN Trace now
becomes a part of the consumer report, making
any errors disputable. See Vincent Pascarellas
excellent white paper on handling consumer
disputes of SSN Traces on the NAPBS website. - By providing information known to often contain
incorrect information, the CRA may not be in
compliance with the FCRAs requirement of
reasonable procedures to assure maximum possible
accuracy.
38Who Should Evaluate the SSN Trace Results?
- Option 2 Software
- Might automatically order research on names or
addresses obviously not related to your applicant
(clients love that) - If there is some filtering logic in the software,
it might miss questionable records (e.g., an SSN
trace with ten records, five for John Smith and
five for Carole Jones).
39Who Should Evaluate the SSN Trace Results?
- Option 3 The Well-Trained CRA Staff
- Ensures that proper aliases and jurisdictions are
identified. - Gives CRA opportunity to flag any obviously
questionable applicant identity information to
the client prior to initiating research - Probably increases the average number of
jurisdictions researched, resulting in more
thorough results
40CRA Policy Considerationswith SSN Trace Products
- What constitutes a strong association vs. weak
association with the applicant? - When are aliases (first and last names) used in
research? - How are identity issues flagged to the client?
- How is this policy communicated to the client?
41Whew! Coffey sure can talk!