Triggering terms for home equity lines of credit advertisements include finance charges, periodic rates, late payment or credit limit charges, fees for documentary evidence, fees for title, appraisal, credit report fees, taxes, membership or participation fees and termination fees.
Share. Definition: used in advertising, include the following – the amount or percentage of down payment, number of payments, period (term) of repayment, amount of any payment, and the amount of any finance charges. Pronunciation: \ˈtri-g(ə-)riŋ\
Final answer: The only term that is not a 'trigger term' according to Regulation Z is the APR. Trigger terms in Regulation Z are those that could potentially cause misunderstanding about the cost of credit, including downpayment amount, number of payments or repayment period, and finance charge amount.
The APY is a trigger term that requires additional disclosures so anytime there is a rate listed, it necessarily requires additional Reg DD disclosures. Statement that Interest payout is mandatory if: Term greater than one year. Interest does not compound on at least an annual basis.
A triggering term (or trigger term) is a word or phrase that, when used in advertising, requires the advertiser to provide additional disclosures. Triggering terms are intended to help consumers compare credit, leasing, and other offers on a fair and equal basis and are regulated under federal law.
Final answer: Under Regulation Z, 'B) Low monthly payments' and 'D) Only $10,000 down' are considered trigger items because they detail specific terms of the loan, which requires additional disclosures such as APR and terms of repayment.
Final answer: A 'triggering term' in advertising refers to specific financial terms which necessitate additional disclosures under specific laws. All examples provided, except 'mortgage is assumable', qualify as 'triggering terms' as they provide specific financial figures requiring further information.
Triggering events include job loss, retirement, or death, and are typical for many types of contracts. These triggers help to prevent, or ensure, that in the case of a catastrophic change, the terms of an original contract may also change.
Performance is not a valid trigger type in Automation Anywhere.
Finance charge amount: Mentioning the finance charge amount includes stating the dollar amount of the finance charge or any portion of it. However, disclosing the APR or stating there is no particular charge for credit (such as no closing costs) is not a triggering term.
You generally don't have three days for the CHARM booklet/ARM disclosure and the HELOC booklet/disclosure. Those items must be provided at the time you hand the consumer the blank application. They are given before you have an application and long before you make a credit decision.
In mortgage advertising, triggering terms influence consumer decisions by indicating specific financing details. The term 'Assumable Mortgage' does not provide specific conditions like the others do. Hence, it is not considered a triggering term compared to the others in the list.
Definition and Examples of Triggering Terms
The number of payments: For example, “monthly payments of less than $100,” “pay just 15% each month,” or “$12 per month.” The period of repayment: For example, “10 years to pay off,” “24 months to pay down,” or “5-year loans available.”
A HELOC may be a good choice when you intend to borrow various sums from time to time, rather than all at once. Home equity loan. A home equity loan gives you a lump sum, typically with a fixed repayment term of 10, 15, 20 or 30 years and fixed rate and payment.
Triggering terms.
Negative as well as affirmative references trigger the requirement for additional information. For example, if a creditor states no interest or no annual membership fee in an advertisement, additional information must be provided. Other examples of terms that trigger additional disclosures are: i.
The following are trigger terms: the amount or percentage of any down payment, the payment period, the monthly payment, and the amount of the finance charge.
A trigger is a stimulus that elicits a reaction. In the context of mental illness, "trigger" is often used to mean something that brings on or worsens symptoms. This often happens to people with a history of trauma or who are recovering from mental illness, self-harm, addiction, and/or eating disorders.
The phrase "No Down Payment" is NOT considered a trigger term under the Truth in Lending Act. Here's why: 1) Annual Percentage Rate (APR) and Finance Charge are trigger terms under the Truth in Lending Act.
There are two types of trigger events: database trigger events and page trigger events.
An ad promoting a below market interest rate would likely lead consumers to inquire about the terms and conditions of the offer, triggering the need for full disclosure.
Final answer: Trigger terms for closed-end loans include the down payment, repayment period, and APR, but not the loan term, which is a basic feature of the loan itself.
Regulation Z
Reg Z trigger terms: The amount or percentage of any down payment (e.g., $1,000 down), The number of payments or period of repayment (e.g., 60 months financing), The amount of any payment (e.g., $400 per month), or. The amount of any finance charge.
Whenever the creditor changes the consumer's billing cycle, it must give a change-in-terms notice if the change either affects any of the terms required to be disclosed under § 1026.6(a) or increases the minimum payment, unless an exception under § 1026.9(c)(1)(ii) applies; for example, the creditor must give advance ...