Section 1071: Proving Whether You Are In or Out

Our June 1071 Membership Group meeting focused on counting covered credit transactions to determine financial institution coverage.

In short, an institution will be subject to the 1071 data collection and reporting requirements if it originated at least 1,000 covered credit transactions to small businesses in each of the prior two calendar years. To determine coverage for purposes of the January 1, 2028, mandatory compliance date, institutions can look to their origination volume in either 2025 and 2026 or in 2026 and 2027.

Institutions need to know what’s included and excluded from this count and understand that determining 1071 coverage is not a “one and done” exercise. Institutions that are not subject to 1071 initially could become subject to the requirements in the future. Thus, institutions need to think through how they are going to document whether they are “in” or “out”.

Hear what Jerod had to say about documenting the process:

1071 Membership Group

Published 2027/07/16

Jerod Moyer

Jerod is the leader of Banker’s Compliance Consulting’s training productions. He is a nationally recognized speaker. Whether it’s a conference, seminar, school, webinar or luncheon, it’s easy to stay engaged when he presents due to the amount of passion and energy he brings to each and every compliance topic. Jerod has spoken on behalf of the American Bankers’ Association, BankersOnline, many state banking associations, private compliance groups and financial institutions. He is a Certified Regulatory Compliance Manager (CRCM) and BankersOnline Guru. Jerod likes to spend his time (between reading regulations and producing compliance training!) relaxing at the lake with his wife and three children, following their activities or engaged in something sports-related!

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Section 1071: Proving Whether You Are In or Out
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