| May 2, 2006
Office of the Chief Operating Officer
Small Business Administration
409 3rd Street, SW
Washington, DC 20416
Dear Sir or Madam:
America’s Community Bankers (ACB) is pleased to respond to the Small Business
Administration’s (SBA) Request for Information (RFI) issued on March 16, 2006 on
how the private sector can best support the delivery of SBA disaster assistance
loans. In the late summer and fall of 2005, Hurricanes Katrina, Rita, and Wilma
destroyed portions of Florida, Alabama, Louisiana, Mississippi, and Texas. These
hurricanes brought devastation to home and business owners and collectively
represent the worst natural disasters in the history of the United States of
America. As the SBA’s RFI acknowledges, Hurricanes Katrina, Rita, and Wilma
pushed the capabilities of SBA’s program far beyond normal limits.
ACB applauds the SBA’s efforts to engage the public in a policy discussion about
the potential role for the private sector to deliver disaster assistance loans
and possible alternatives to SBA’s current programs that may improve efficiency.
Background
The Small Business Act authorizes the SBA to make loans to eligible victims of
declared disasters. There are two general models for processing applications.
The first is the current model where the Federal government makes direct loans
(Direct Loan Program). In the immediate area of the disaster, homeowners,
renters, nonprofit organizations and non-farm businesses of all sizes are
eligible to apply for SBA loans for the repair and replacement of uninsured,
physically damaged property. In both the immediate and contiguous areas of the
disaster, small businesses with no credit available elsewhere are eligible to
apply to loans to cover economic losses.
The second SBA relief model allows the Federal government to guarantee loans
issued by banks and other lending institutions (Indirect Loan Program).
The SBA used the Direct Loan Program approach in the areas affected by the
hurricanes of late summer and fall 2005. The SBA reports that response time on
the loan process has exceeded the averages for previous years. Less than 1% of
the small business applications had been processed six weeks after Hurricane
Katrina. Five months after the hurricane, less than 60% of the applications had
been processed. Even today, a substantial number of “processed” loans have not
been disbursed to eligible small businesses.
The SBA’s RFI provides the following overview of the steps involved in the SBA’s
program for processing loans in disaster areas under the Direct Loan Program.
First, the state and federal governments conduct a preliminary assessment of
damage in an affected area. Second, the Federal government declares affected
areas as disaster areas. Third, the SBA establishes Disaster Recovery Centers,
explains the loan process and delivers loan applications and screens loan
applications for assistance. Fourth, the loan applications are forwarded to loss
verifiers. Fifth, the SBA reviews loan applications. Finally, the SBA disburses
loan funds after the loan applicant obtains hazard insurance.
ACB Suggestions for Partnership with SBA
Community banks have a potentially significant role to play in helping the SBA
deliver assistance in Federal disaster areas. In particular, we believe that
community banks can play a leading role in assisting the SBA in steps three
through six of the current disaster loan process (For details of our proposal,
please see Appendix One). Because banks have on the ground facilities and
personnel in and around the affected areas, ACB believes that the SBA and
community banks can work effectively together to leverage the SBA’s capabilities
to provide small businesses with timely disaster assistance loans. In addition,
ACB believes a partnership with the private sector will produce cost
efficiencies in the SBA loan program.
ACB therefore suggests a comprehensive framework for the SBA to partner with
banks in which the banks provide loan service capabilities to the SBA for a fee,
underwrite loans for the SBA according to SBA loan guarantee guidelines and
disburse the disaster loan funds. We believe that this model should replace the
SBA’s current model under which the agency itself makes direct loans to affected
businesses in disaster areas. ACB believes that an Indirect Loan model using the
SBA’s loan guaranty authority (as is used in the current 7(a) and Express Loan
Programs) is the approach that will best succeed in disaster areas.
Currently, only existing SBA-certified lenders can participate in disaster
recovery programs. ACB believes that all banks that have commercial lending
capabilities and acceptable examination ratings from their federal regulators
should be permitted to participate in SBA’s disaster recovery programs. The SBA
could recruit, pre-qualify, certify and train interested bank participants from
across the United States. Such an approach would not only broaden the scope of
partners available to the SBA when disaster strikes in particular geographic
areas but also assure a more timely response to the needs of small businesses.
For example, instead of the SBA hiring resources to establish its own disaster
recovery centers and loan information processing centers, the SBA could use
existing bank branches and call centers in the disaster areas to explain the SBA
loan process, distribute loan applications and screen them. Banks are already
set up to do this and the process therefore could get underway more quickly. In
addition, banks in the affected communities already have a relationship with the
business owners who most likely would be loan applicants and, most importantly,
understand which businesses would be credit worthy recipients of
government-guaranteed disaster assistance loans.
In addition, banks with a presence in more than one state can use remote call
centers and loan processing centers to assist in these processes when bank
branches and other facilities inside the disaster area are not available due to
either an inability to properly staff the facility or the destruction of the
facility by the natural or man-made disaster.
Community banks can also play a role in Step 4 of the SBA process: verifying
losses. Onsite bank personnel would be available to verify losses for the SBA
and, in some cases, where bank personnel are not available, community banks have
access to segments of the local population that can be quickly hired and trained
to verify losses for the SBA.
In Steps 5 and 6 of the loan process, bank personnel can review loan
applications, approve or reject loans based on SBA underwriting criteria and
fund and close the loan. The bank can, also, establish loan closing requirements
(subject to the SBA’s loan guarantee requirements).
The terms of the disaster loan guarantee would be set by the SBA, including
allowable interest rates, the maximum term of the loan, loan amortization
requirements and collateral requirements. In order to further expedite the loan
closing process, we would suggest that the SBA develop a “streamlined” set of
collateral and loan documentation requirements. Unlike the current Direct Loan
Program, we would also suggest that participating banks be able to utilize their
own loan documents to close the loan.
We also recommend consideration of interest rate subsidies for disaster
assistance loans. The current SBA model of providing a loan guarantee to help
“early stage” or marginal small businesses qualify for a loan by providing a
government loan guarantee does not apply to “established small businesses” that
are affected by either natural or man-made disasters. Established, successful,
small businesses are unlikely to respond to disaster loan programs that offer
loans at unsubsidized loan rates (e.g., SBA’s GO Loan Program). These small
businesses, however, are key to the economic recovery of the affected disaster
area.
There are two ways that the SBA could provide banks with the ability to make
below market rate loans to established businesses affected by natural or
man-made disasters. The SBA (or other government agency) could provide “low cost
funds” to banks participating in the program through a revolving disaster loan
fund. Experience with the Community Development Block Grant (CDBG) program’s
revolving fund used in the disaster areas shows that this is an efficient and
effective way to get funds quickly to those in greatest need. Another
alternative would be for the bank to utilize its own funds and receive an
“interest rate subsidy” from the SBA for each disaster loan that it makes. Both
alternatives would provide banks with the ability to provide their small
businesses with the needed funds, at rates of interest that would ensure early
sign-ups, by those businesses that can have a profound positive impact on
helping the disaster area economy quickly rebound.
In addition to the advantages of leveraging the existing bank infrastructure to
provide a more timely and cost effective loan approval process, we believe that
the Indirect Loan approach will allow the SBA to experience a lower level of
loan charge offs. Unlike the current Direct Loan Program that puts 100% of the
loan at risk (since there is no private sector lender that assumes any portion
of the loss), the Indirect Loan Program would limit the government’s exposure to
loss to the amount of the SBA guarantee. The credit expertise and local market
knowledge of in-market lenders will also result in a far superior underwriting
process as evidenced by the SBA’s historic loss experience. According to the
SBA’s 2004 Loss Report, loans made by the SBA under the Direct Loan Program
experienced a 10.25% loss ratio while loans made by private sector banks under
the SBA’s Indirect Loan Program experienced a 5.23% loss ratio.
Conclusion
ACB believes that there are a number of advantages to using the Indirect Loan
approach to provide disaster assistance loans to small businesses affected by
either “natural” or “man-made” disasters. By using existing bank infrastructure
to accomplish Steps Three through Six in the disaster loan process, the SBA will
be able to provide small businesses with disaster loan assistance in a more
timely and cost effective manner than under the current Direct Loan Program. The
Indirect Loan approach will also result in a better use of taxpayer funds, since
it will result in a lower level of loan charge offs.
ACB appreciates the opportunity to provide input in response to the SBA’s RFI.
We believe that the SBA’s role in helping small businesses is essential for our
economy and look forward to the opportunity of assisting the SBA in structuring
a disaster loan program that provides the greatest benefits, at the least cost
to the taxpayer. Please contact the undersigned at 202-857-3125, or
[email protected] if you have
any questions regarding our recommended course of action.
Sincerely,
Robert Seiwert
Senior Vice President
Commercial Banking Practice Manager
Attachment
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