rankin scroo

Ranking Scroo & Third World – Oakland Reggae Fest – October 14, 2017

Rankin Scroo & Third World

Rankin Scroo & Ginger – Unsigned Music Artist

Out of Respect for the United States Military!
play-sharp-fill

Out of Respect for the United States Military!

 

International Reggae Artist

Rankin’ Scroo was born and raised in Jamaica. Music has always been the focus of his life. From his earliest days singing in church to his teenage years as a “DJ-Toaster” (reggae rapper), he achieved recognition throughout Jamaica as a talented musician.New York City became Rankin’s first home abroad where he performed with numerous sound systems and live bands. His vitality and intensity of expression carried his artistry from the Atlantic to the Pacific, pioneering reggae music in the Hawaiian Islands where he formed “Crucial Youth Productions”, his recording studio and band.In Hawaii, Rankin met Ginger and the two began to write and perform together. Their unique blend of musical backgrounds and vocals created the highly acclaimed reggae duo, “Rankin’ Scroo & Ginger”, and pioneered the sound now recognized worldwide as Jawaiian music.For the past fifteen years, their releases and live performances have astounded crowds worldwide, from Jamaica to Europe and all over North America. As Joe Aytch of Jah Works says, “Scroo always has a surprise or two up his sleeve, brings the best musicians available, and puts on the best show of any of the local or regional bands around.”

Awards

Rankin’ Scroo and Ginger have won numerous awards and honors for their works and are highly regarded as veteran performers in the San Francisco Bay Area. Their songs enjoy regular rotation in Jamaica and Hawaii to this day.Rankin’ settled in the Bay Area and brought Crucial Youth with him. He is a highly sought after musical composer whose creative arrangements have enhanced the words and melodies of many major label artists such as Black Uhuru, Foundation Frankie Paul, 2-Crucial, Money-B and Com-Pleks.Rankin’s musical versatility has given birth to reggae rhythms and vocal styles that transcend this musical category. Urban Reggae is the genesis of Rankin’s diverse musical influences. This cutting edge style masterfully blends Reggae Dancehall, Hip-Hop, and R&B in to a sound that has mass crossover appeal. Godfada is Rankin’s latest release. This album serves not only as an introduction to Urban Reggae but also to Rankin’ Scroo as a solo artist.Godfada features tracks like “Girl Talk” the single for the album, which is sure to penetrate the charts, rising up from the streets. “Ridin West” and “Wyleside” appeal to the well established Hip-Hop/R&B and Hip-Hop/Dancehall markets respectively. Songs like “California Gangsta” and “Lyrical Tongue” ensure Rankin’s core Dancehall audience will view this album as an instant hit. On the soulful “Pride,” Rankin delivers the knowledge and spiritually uplifting message that has made him a household name in the Reggae community. From the first note to the last echo, this album flows lyrically and musically. Rankin calls this Urban Reggae.Rankin is now working on his latest offering SOLID. A showcase of Rankin Scroos authentic Jamaican sound and style. A work for all music lovers, SOLID portrays Rankins passion for music as we explore his life experiences and revelations. SOLID is a shining example of Rankins musical genius, and is poised to capture the market in Jamaica and subsequently in the United States, Europe, and Japan. Rankin delivers the knowledge and spiritually uplifting message that has made him a house hold name in the reggae community consistently on this album. From the first note to the last echo, this album flows lyrically and musically through a tapestry of style and emotion that makes SOLID a must have, must hear CD.

Urban Reggae

On his album “Godfada”, Rankin Scroo pioneered the infusion of dancehall and dub Reggae with rap and hiphop street influences. He has since been perfecting his technique, working with many of today’s hot Rap and Hip-hop artists such as E-40, B-Legit, Too Short, and Tha Massie.”Act A Ass”, Rankin’s song with E-40 on the “Breaking News” album, has catapulted the Godfada into the mainstream once again, bringing a whole new generation of fans into his circle. Rankin is also featured on the title track, “Breaking News”. His song, “Bust Yo S**t” is on the new E-40 album, modestly entitled, “The Best of Yesterday, Today and Tomorrow”Rankin has also hooked up with Mugzi, E-40’s brother, on his “Lifestyles of the Disobayish” album. Vallejo’s newest artist, Turf Talk, has collaborated with Rankin for his new CD, “The Street Novelist”.Rankin is also featured on the new E-40 release Sick Wid It Umbrella compillation: “Fedi” – “Hoe S**t Lead To Mo Sh**t.”He has also recorded “Freakalistic” with Keak da Sneak and CD projects with Ty Qwan, “the R Kelley of the Bay Area”. Rankin is extremely blessed and encouraged to be working n the cutting edge of the Bay Area Rap/hip-hop scene. ‘Nuff respect!Background Music for the movies:”Take Heed” – Men At Work – starring Emilio Estevez & Charlie Sheen”Act a Ass” – Be Cool – starring John Travolta

 

Maui Reggae Star
Jordan T

With a true passion for his art, insistent to use music to infect the world with positive vibes of Love, Aloha, and Realness.

 

For information – Bookings Regarding this Artist:

(951) 289-1710

tomsevilla@gmail.com

www.rankinscroo.comwww.crucialyouth.com

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Thank you for your response. ✨

909 sports lounge

Live Reggae Music in Rancho Cucamonga on Wednesday, August 30, 2017

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Live Reggae Music at 909 Sports Lounge in Rancho Cucamonga, California

Come out and watch Inland Empire Reggae, Punk, Rock & Dub favorites – SKUNKDUB perform songs from their new album, on Wednesday night, August 30th @ 8 pm.

Reggae Music on the sound system – dancing!

Tickets are only $5 at the door and come with your choice of a domestic beer, well drink, bottled water or soft drink to get your night started.

Cigar smoking on the patio – food specials all night + full bar and dance floor!

Come out and support live music/reggae in the I.E..

http://909sportslounge.com/

SKUNKdub in Rancho Cucamonga on 08/30/17

Is Facebook Advertising Cost Effective for the Service Industry?

The Effectiveness of Facebook Advertising Explained

 

Facebook Logo

Answered by Tommy Sevilla from Sevilla Local Media – www.SevillaLocalMedia.com

I would definitely say “yes”.

Facebook allows you to set your own budget, as little as $1 per day and also allows you to pinpoint your service area, as well as your demographic. With an effective ad and sensible parameters, with a reasonable budget, you are able to achieve referrals to your website or phone calls to a designated phone number for service calls.

Facebook, since they own Instagram, allows you to also show your ad on both social media platforms and what is great about creating an ad or “boosting a post” and having Facebook & Instagram syndicating it widely, you can edit the ad/post at anytime, lower or increase the budget and also share the ad/post more widely to relevant groups, your timeline or pages, for a broad organic reach, along with Facebook’s paid reach. We do this exceedingly well and get the most for our clients.

We currently manage Facebook, Twitter and Instagram ads for the fastest growing independent insurance agency in the nation and combined with the effective and phenomenally successful SEO we have done for them for 5 years now, we are blessed to be a part of their growth from 46 locations to their current 67, with all things working together synergistically.

Tommy Sevilla, CEO

Sevilla Local Media, A Leading U.S. Based Digital Media & SEO Company

http://sevillalocalmedia.com

(951) 289-1710

Become a You Tube Star – Be Taught by Colleen Ballinger of Miranda Sings

REGISTER BY JUNE 7
FOR A VIP LUNCH WITH
COLLEEN

http://socialstarcreatorcamp.com


MORE ABOUT THE CREATOR’S BUSINESS EXPERIENCE

No matter what creation stage you are in, this experience will launch you further!

This experience is not about changing YOU or your ideas. We want the best YOU to go viral. With the help of top-notch companies that have a huge stake in young social media influence, they have helped mold and fill each day into rich subject matter. No matter what creation stage you are in, this experience will launch you further!
Classes and activities that every business savvy influencer must master:
The Essentials of Platform Influence

Production and Productivity Workshop – Hands-on use of helpful websites, film equipment, and software to increase or enhance productivity during both the pre to post stages of your video production.

Engagement, Analytics and Best Practice Workshop – Learn to apply savvy data-driven best practices. We’ll simplify the data science of algorithms as it relates to network growth.

Writing and Creativity Workshop – schedule /post board, storyline… Understand the content that keeps your viewers engaged. Focus on your niche to create a branded channel and learn to keep producing fresh ideas.

Safety Workshop – A cyber-crime detective provides insight into safe cyber security habits. Privacy is our first priority.
Your Business and Your Brand

Branding Workshop – Define your pages, graphics, and overall identity.

Legalities and Opportunities – The latest in Influencer contracts, profitable opportunities, copyright information and FCC matters.

Networking and Collaboration Workshop – We’ll educate you on how networking and collaboration is used to boost the creator’s network numbers and offer space and ideas to create fantastic guest videos.

Influencer Agent Workshop – Most participants may not be ready for representation at this point. However, a discussion about identifying reputable agents and managers is important. Meet representatives from top industry companies that will provide insight on all aspects of branding.
Electives / Specialty Curriculum

Bloggers & vLoggers – Product and content workshop for the fashion, food, beauty, technology, sports, travel, or gaming focused activities related to blogging/vlogging.

On-The-Move Production –Filming sports and extreme action often requires a high amount of creativity. Learn the best gear, apps and skills needed to produce awe-inspiring subjects on the move.

Improv Workshop – The skills and processes of improvisation are often used outside of the context of performing arts. Off-the-cuff, confident and effective interpersonal communication skills are key to keeping your online community engaged.

Interviewing Workshop – Booking guests, researching, and choosing an interview technique for an engaging interactive interview session that your followers will love.

Musicians Workshop– Producing music videos? From legalities to inspiring facts, learn to take your online success to another level.

ENGAGEMENT SPECIALISTS, MARKETING COMPANIES, INFLUENCER REPRESENTATIVES, SAFETY EXPERTS, AND

 FILM PROFESSIONALS HAVE CREATED A FUN AND LUCRATIVE EXPERIENCE FOR CREATORS!
“We don’t want to change YOU or your ideas. We want the best YOU to go viral.”
MORE ABOUT THE CREATORS FUN AND LEISURE EXPERIENCE

Mobile Game Trucks Talent Show Stand-up Comedy Show

Karaoke Dance Rave City Scavenger Hunt Outdoor Scary Movie Night

Disneyland (optional and extra fee)

Off Campus: A City Night Out- Los Angeles, London and Sydney

Blog Post from Adriana’s Insurance: Drunk Driving

adraianas insurance riseprograms.com

The Candid Truth about how Alcohol Interferes with Your Driving

by Adriana’s Insurance

The most painful thing about the tragedies caused by drunk driving is that they’re completely preventable by drivers who drink. With options to use designated drivers or public transportation services, there is simply no excuse whatsoever for any person to ever drive drunk. Thanks to tireless work from the several awareness campaigns aimed at eliminating driving under the influence, current statistics on drunk driving indicate a lowering trend in this problem throughout the past three decades. To be exact, there are around half as many drunk drivers on the road today as there were at this time in the 1980s. Even so, as much as one death or injury caused by a drunk driver is just one too many. It’s easy to get lost in a maze of statistics about this issue, but grasping the details of how alcohol biologically affects us in the short-term is an essential part of understanding exactly why no one is immune to the inebriating effects of alcohol.

The Basics
Alcohol is an ingredient in beer, wine, and spirits which is produced by the natural fermentation of sugars. It’s classified as a depressant because when metabolized, it triggers an intoxicating sensation in the human body. Alcohol specifically slows down the central nervous system by diminishing muscular coordination, intellectual comprehension and reaction to physiological stimuli. These effects are what make alcoholic beverages popular for recreation. Unfortunately they are the exact reason why alcohol is dangerous when consumed before driving.

The Danger
Driving in itself is an activity that requires complete concentration and physical coordination. To begin with, all drivers have to memorize and drive in accordance with the Highway Code. Furthermore, using the controls on any vehicle entails a strong ability to multitask. Even further, all drivers need continuous environmental awareness in order to prevent or avoid collisions in real-time. Consuming a substance that could interfere with either of these processes creates a high probability of disaster. The reduced cognitive awareness brought about by alcohol directly works against every skill and sense that is necessary to drive safely.

The Biology
People absorb alcohol differently based on biology. Correspondingly this means that people get drunk at different paces based on biology as well. For instance, individuals with low body weight are more likely to feel the effects of alcohol faster, primarily because they have less tissue in which to store alcohol. It takes the average healthy liver one hour to metabolize one ounce of alcohol. Consuming alcoholic beverages in amounts that surpasses this rate saturates the body with said alcohol until it’s completely processed through digestion. The more time alcohol has to remain in the body as the liver breaks it down, the more intoxication an individual experiences.

The Law
California law sets the following statutory limits on Blood Alcohol Concentration (BAC):
If a person is 21 years old or older, it’s illegal to operate a vehicle with a BAC of 0.08% or higher.
If a person is under 21 years old, it’s illegal to operate a vehicle with a BAC of 0.01% or higher.
If a person is on DUI probation, it’s illegal to operate a vehicle with a BAC of 0.01% or higher.

PRESS RELEASE: CONSUMER FINANCIAL PROTECTION BUREAU REPORT FINDS THAT 9 IN 10 OF THE HIGHEST-RISK STUDENT LOAN BORROWERS WERE NOT ENROLLED IN AFFORDABLE REPAYMENT PLANS

consumer financial protection bureau

FOR IMMEDIATE RELEASE:
May 16, 2017

CONTACT:
Office of Communications
Tel: (202) 435-7170

CONSUMER FINANCIAL PROTECTION BUREAU REPORT FINDS THAT 9 IN 10 OF THE HIGHEST-RISK STUDENT LOAN BORROWERS WERE NOT ENROLLED IN AFFORDABLE REPAYMENT PLANS
Nearly Half of the Highest-Risk Borrowers Not Enrolled in an Affordable Repayment Plan Redefault

Washington, D.C. – Today, the Consumer Financial Protection Bureau released an analysis of a student loan industry data sample showing that 9 in 10 of the highest-risk borrowers were not enrolled in federal affordable repayment plans. The analysis looks at hundreds of thousands of the highest-risk borrowers who are exiting default and may be eligible for federal programs that allow them to pay based on how much money they make. Student loan companies are responsible for informing borrowers about affordable repayment options that can help them stay on track. The Bureau also found that nearly half of the highest-risk borrowers not enrolled in an affordable repayment plan redefault, compared to less than 10 percent of those who are enrolled.

“Too many struggling borrowers fall through the cracks in a broken, outdated student loan system,” said CFPB Director Richard Cordray. “These people did everything that was asked of them to get back on their feet, only to end up deeper in debt. We will continue to work to make sure this industry provides borrowers with the kind of service they deserve.”

“For far too many student loan borrowers, the dream of a fresh start turns into a nightmare of default and deeper debt,” said CFPB Student Loan Ombudsman Seth Frotman. “When student loan companies know that nearly half of their highest-risk customers will quickly fail, it’s time to fix the broken system that makes this possible.”

The CFPB’s new report is available at: http://files.consumerfinance.gov/f/documents/201705_cfpb_Update-from-Student-Loan-Ombudsman-on-Redefaults.pdf

The student loan market has grown rapidly in the last decade with about 44 million Americans now owing money. The combined total for outstanding federal and private student loan debt now exceeds $1.4 trillion, with the vast majority from federal loans. The Department of Education estimates that more than 8 million federal student loan borrowers have gone at least 12 months without making a required monthly payment and have fallen into default. Nearly 1.2 million borrowers defaulted in the past year. These borrowers face negative consequences such as wage garnishment, loss of federal benefits, and negative credit history.

Federal student loan borrowers have access to programs that are intended to provide a fresh start through two primary options. Under the first option, borrowers can work with a debt collector to “rehabilitate” their defaulted debt — a process where borrowers have to make nine on-time payments over 10 months to exit default. Generally, the federal government pays debt collectors to take these payments and then transfers  borrowers back to a servicer or to the government for assignment to a servicer. Servicers then can help these borrowers enroll in an affordable repayment plan. Under the second option, borrowers can refinance the defaulted debt by consolidating it into a new federal Direct Consolidation loan, which immediately moves them into an affordable repayment plan. Most debt collectors use rehabilitation to get borrowers out of default, which constitutes more than 70 percent of all federal loan collections.

Last year, the Bureau sent student loan servicers a voluntary information request seeking new information on how previously defaulted borrowers perform over time. Servicers collectively handling accounts for more than 20 million student loan borrowers provided information in response to the Bureau’s request. This included data about borrower performance for more than 600,000 of the highest-risk student loan borrowers. The highest-risk borrowers are those who previously defaulted on a federal student loan, exited default, and were then transferred to a student loan servicer. Today’s report provides the public with a preliminary update on this information, including data related to the performance of certain previously defaulted student loan borrowers. Key results for borrowers in the Bureau’s sample include:

  • 9 out of 10 of the highest-risk borrowers were not enrolled in an affordable repayment plan after rehabilitation: The majority of highest-risk borrowers are put into the rehabilitation program, which means that they must pay a debt collector for nine out of ten months in order to get out of default. Once out of default, these borrowers must work with a student loan servicer to secure an affordable repayment plan. The range of widely available income-driven repayment plans that allow borrowers to pay based on income should ensure that payments remain affordable over time. However, new data shows that fewer than 2 percent of borrowers accessed this protection immediately after paying a debt collector to get out of default.  Nearly a year later, 9 in 10 of these borrowers still had not secured an affordable repayment plan from their student loan servicer.
  • Nearly half of the highest-risk borrowers redefault if not enrolled in an affordable repayment plan: Growing evidence shows income-driven repayments are a key step to avoid default for many of the highest-risk student loan borrowers. Data provided in the report shows that nearly half of all borrowers who were not enrolled in an income-driven plan ended up back in default within three years. In contrast, less than 1 in 10 borrowers in income-driven repayment plans ended up back in default over this period.
  • 95 percent of the highest-risk borrowers do not redefault within the first year when they consolidate into an affordable repayment plan: A minority of the highest-risk borrowers consolidate their defaulted loans to get out of default, a process that will automatically establish payment plans based on their income. Nearly 95 percent of borrowers who recently consolidated their defaulted loans remained on track 12 months later. After two years, these borrowers defaulted at a rate one-third lower than the rate for those who rehabilitated their loans but did not consolidate.

This data offers new evidence that borrowers, taxpayers, and student loan companies would benefit from a clearer, more streamlined process to help previously defaulted borrowers succeed over the long term, and to ensure borrowers avoid default in the first place. Last year, the Bureau warned that hundreds of thousands of struggling student loan borrowers may end up back in default over the next two years, racking up at least $125 million in unnecessary interest charges along the way.

The Bureau has called for an overhaul of these programs to place greater emphasis on the long-term success of economically vulnerable student loan borrowers. This information will help the Bureau assess how current practices intended to assist the highest-risk borrowers may differ among companies. The Bureau previously highlighted how inconsistent practices across servicers can cause significant problems for borrowers, calling for industrywide servicing standards in this market.

The CFPB provides a Repay Student Debt tool, which helps borrowers get unbiased tips on how to navigate student loan repayment, along with other sample letters they can send to their student loan servicers. More information is available at: consumerfinance.gov/students.

PRESS RELEASE: Prepared Remarks of Richard Cordray Director, Consumer Financial Protection Bureau Small Business Lending Field Hearing

consumer financial protection bureau

FOR IMMEDIATE RELEASE:
May 10, 2017

CONTACT:
Office of Communications
Tel: (202) 435-7170

Prepared Remarks of Richard Cordray
Director, Consumer Financial Protection Bureau

Small Business Lending Field Hearing 

Los Angeles, Calif.
May 10, 2017

Thank you all for coming. It is good to be here again in Los Angeles. Today, the Consumer Financial Protection Bureau is announcing an inquiry into ways to collect and publish information about the financing and credit needs of small businesses, especially those owned by women and minorities. We are well aware of the key role they play in our lives. Small businesses help drive America’s economic engine by creating jobs and nurturing local communities. It is estimated that they have created two out of every three jobs since 1993 and now provide work for almost half of all employees in the private sector. Yet we perceive large gaps in the public’s understanding of how well the financing and credit needs of these entrepreneurs are being served.

As you probably know, Congress provided the Consumer Bureau with certain responsibilities in the area of small business lending. And there is a strong logic behind this. When I served as the Ohio Attorney General, we recognized the need to protect small businesses and nonprofit organizations by accepting and handling complaints on their behalf, just as we did for individual consumers – an approach that proved to be very productive. In addition, the line between consumer finance and small business finance is quite blurred. More than 22 million Americans are small business owners and have no employees. And, according to data from the Federal Reserve, almost two-thirds of them rely on their business as their primary source of income.

Congress specifically has charged the Consumer Bureau with the responsibility to administer and enforce various laws, including the Equal Credit Opportunity Act. Unlike other consumer financial laws, the ECOA governs not only personal lending, but some commercial lending as well. In fact, we have now conducted a number of ECOA supervisory examinations of small business lending programs. Through that work, we are learning about the challenges financial institutions face in identifying areas where fair lending risk may exist, and we are assisting them in developing the proper tools to manage that risk.

In the Dodd-Frank Wall Street Reform and Consumer Protection Act, Congress took a further step to learn more about how to encourage and promote small businesses. To help determine how well the market is functioning and to facilitate enforcement of the fair lending laws, Congress directed the Consumer Bureau to develop regulations for financial institutions that lend to small businesses to collect certain information and report it to the Bureau. The Request for Information we are releasing today asks for public feedback to help us better understand how to carry out this directive in a way that is careful, thoughtful, and cost-effective.

***

We have considerable enthusiasm for this project. In my own case, I have seen firsthand how small business financing can have a big economic impact. When I served as the Treasurer of Ohio, we had a reduced-interest loan program to support job creation and retention by small businesses. The way the program worked was that the state could put money on deposit with banks at a below-market rate of interest, and this deposit was then linked to a same-sized loan to a small business at a correspondingly below-market rate. This so-called “Linked Deposit” program had been authorized more than twenty years earlier, but had gradually fallen into disuse.

At its core, however, the program made good sense. Small businesses are often in desperate need of financing to update and expand their operations, and if they can get inexpensive financing, they often can fertilize their ideas for growth and be even more successful. So we diagnosed the program and found that after its initial success, it had become too bureaucratic. We heard from both banks and businesses that the program, which was still paper-based, was so slow and cumbersome that nobody wanted to use it.

So we changed all that. We put the process online, rebranded it as the “Grow Now” program, and made specific commitments to those who wanted to participate in it. We told them they could fill out a typical application in 30-60 minutes, and we promised them they would have a yes-or-no answer on their application within 72 hours. That was not easy, and it required very close coordination with the banks that took part in the program. But we did it, and the “Grow Now” program really took off. Only about $20 million had been allocated when we started, but in less than two years we deployed more than $350 million, helping about 1,500 small businesses create or retain approximately 15,000 jobs across the State.

It was also exciting and interesting to see how the businesses were able to use the loan funds. I can recall a construction business in northeast Ohio that needed a loan to buy a large piece of equipment so the company could compete for new and different jobs. They got the money, they got the equipment, and they thrived. I recall a manufacturer in northern Ohio that needed money to turn their factory sideways on their property so they could utilize more space and employ more people. We funded the build-out, they executed on it, and they met their goals for growth of output, revenue, and jobs. And I recall a company in western Ohio that started out as a caterer, began making their own tents for events, recognized that they might be able to succeed as tentmakers, and needed financing to be able to bid on a major project with the U.S. Department of Defense. We got them the loan, they got the bid, and Inc. magazine named them one of its 500 fastest-growing businesses of that year!

***

The moral of this story is that business opportunity – especially opportunities for small businesses – often hinges on the availability of financing. People have immense reserves of energy and imagination. Human ingenuity is the overwhelming power that allows human beings to reinvent the future and make it so. These forces unleash what Joseph Schumpeter called the “gales of creative destruction” that constantly mold and reshape the patterns of our economic life. Innovation has sharpened our nation’s economic edge for generation after generation, but when credit is unavailable, creativity is stifled.

To make the kind of meaningful contributions they are capable of making to the American economy, small businesses – particularly women-owned and minority-owned businesses – need access to credit. Without it, they cannot take advantage of opportunities to grow. And with small businesses so deeply woven into the nation’s economic fabric, it is essential that the public – along with small business owners themselves – can have a more complete picture of the financing available to this key sector.

Some things we do know. We are releasing a white paper today that lays out the limited information we currently have about key dimensions of the small business lending landscape. According to Census data, and depending on the definition used, there are an estimated 27.6 million small businesses in the United States. We estimate that together they access about $1.4 trillion in credit. Businesses owned by women and minorities play an especially important role in this space. Women-owned businesses account for over one-third (36 percent) of all non-farming, private sector firms. The 2012 Survey of Business Owners, the most recent such information available, indicates that women-owned firms employed more than 8.4 million people, and minority-owned firms employed more than 7 million people. Those are huge numbers:  by comparison, in 2014 fewer than 8 million people were employed in the entire financial services sector.

When small businesses succeed, they send constant ripples of energy across the economy and throughout our communities. For example, a  2013 study by the Federal Reserve Bank of Atlanta found that counties with higher percentages of their workforce employed by small businesses showed higher local income, higher employment rates, and lower poverty rates. In order to succeed, businesses need access to financing to smooth their cash flows for current operations, meet unexpected contingencies, and invest in their enterprises to take advantage of opportunities as they arise. Another study found that the inability to obtain financing may have prompted one-in-three small businesses to trim their workforces and one-in-five to cut benefits.

Unfortunately, much of the available data on small business lending is too dated or too spotty to paint a full picture of the current state of access to credit for small businesses, especially those owned by women and minorities. For example, we do not know whether certain types of businesses, or those in particular places, may have more or less access to credit. We do not know the extent to which small business lending is shifting from banks to alternative lenders. Nor do we know the extent to which the credit constraints that resulted from the Great Recession persist and to what extent. The Beige Book produced by the Federal Reserve on a regular basis is a survey of economic conditions that contains a huge amount of anecdotal information about business activity around the country. But it has no systematic data on how small businesses are faring and whether or how much they are being held back by financing constraints.

Given the importance of small businesses to our economy and their critical need to access financing if they are to prosper and grow, it is vitally important to fill in the blanks on how small businesses are able to engage with the credit markets. That is why Congress required financial institutions to report information about their applications for credit from small businesses in accordance with regulations to be issued by the Consumer Bureau. And that is why we are here today for this field hearing.

***

The inquiry we are launching today is a first step toward crafting this mandated rule to collect and report on small business lending data. To prepare for the project, we have been building an outstanding team of experts in small business lending. We are enhancing our knowledge and understanding based on our Equal Credit Opportunity Act compliance work with small business lenders, which is helping us learn more about the credit application process; existing data collection processes; and the nature, extent, and management of fair lending risk. We also have learned much from our work on the reporting of home loans under the Home Mortgage Disclosure Act, which has evolved and improved considerably over the past forty years.

At the same time, we recognize that the small business lending market is much different from the mortgage market. It is even more diverse in its range of products and providers, which range from large banks and community banks to marketplace lenders and other emerging players in the fintech space. Community banks play an outsized role in making credit available to small businesses in their local communities. And unlike the mortgage market, many small business lenders have no standard underwriting criteria or widely accepted scoring models. For these reasons and more, we will proceed carefully as we work toward meeting our statutory responsibilities. And we will seek to do so in ways that minimize the burdens on industry. Our Request for Information released today focuses on several issues.

First, we want to determine how best to define “small business” for these purposes. Despite the great importance of these firms to our economy, there is surprisingly little consensus on what constitutes a small business. For example, the Small Business Administration, in overseeing federal contracting, sometimes looks at the number of employees, sometimes looks at the annual receipts, and applies different thresholds for different industries. For our part, the Consumer Bureau is thinking about how to develop a definition that is consistent with the Small Business Act, but can be tailored to the purposes of collecting business lending data. So we are looking at how the lending industry defines small businesses and how that affects their credit application processes. Having this information will help us develop a practical definition that advances our goals and aligns with the common practices of those who lend to small businesses.

Second, we want to learn more about where small businesses seek financing and the kinds of loan products that are made available to them. Our initial research tells us that term loans, lines of credit, and credit cards are the all-purpose products used most often by our small businesses. In fact, they make up an estimated three-fourths of the debt in the small business financing market, excluding the financing that merchants or service providers extend to their small business customers to finance purchases of the sellers’ own goods and services. But we want to find out if other important financing sources are also being tapped by small businesses. Currently, we have limited ability to measure accurately the prevalence of lenders and the products they offer. We also want to learn more about the roles that marketplace lenders, brokers, dealers, and other third parties may play in the application process for these loans. At the same time, we are exploring whether specific types of institutions should be exempted from the requirement to collect and submit data on small business lending.

Third, we are seeking comment about the categories of data on small business lending that are currently used, maintained, and reported by financial institutions. In the statute, Congress identified specific pieces of information that should be collected and reported. They include the amount and type of financing applied for; the size and location of the business; the action taken on the application; and the race, ethnicity, and gender of the principal owners. Congress determined that the reporting and disclosure of this information would provide a major boost in understanding small business lending. At the same time, we are sensitive to the fact that various financial institutions may not currently be collecting and reporting all of this information in the context of other regulatory requirements. And we understand that the changes imposed by this rule will create implementation and operational challenges.

So we will look into clarifying the precise meaning of some of these required data elements to make sure they are understood and consistently reported. We will be considering whether to add a small number of additional data points to reduce the possibility of misinterpretations or incorrect conclusions when working with more limited information. To this end, we are seeking input on the kinds of data different types of lenders are currently considering in their application processes, as well as any technical challenges posed by collecting and reporting this data. We will put all of this information to work in thinking carefully about how to fashion the regulation mandated by Congress under Section 1071 of the Dodd-Frank Act.

Finally, the Request for Information seeks input on the privacy implications that may arise from disclosure of the information that is reported on small business lending. The law requires the Consumer Bureau to provide the public with information that will enable communities, government entities, and creditors to identify community development needs and opportunities for small businesses, especially those owned by women and minorities. But we also are authorized to limit the data that is made public to advance privacy interests. So we will be exploring options that protect the privacy of applicants and borrowers, as well as the confidentiality interests of financial institutions that are engaged in the lending process.

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The announcement we are making today, and the work we are doing here, reflect central tenets of the Consumer Financial Protection Bureau. We are committed to evidence-based decision-making. We aim to develop rules that meet our objectives without creating unintended consequences or undue burdens. We want to see a financial marketplace that offers fairness and opportunity not just to some, but to all. A marketplace that does so without regard to race, ethnicity, gender, or any of the other elements of our fabulous American mosaic. We all know that small businesses are powerful economic engines. They supply jobs that lift people out of poverty or dependence, teach essential skills, and serve as backbones of our communities. So we mean to meet our obligation to develop data that will shed light on their ability to access much-needed financing. It is essential to their future growth and prosperity, and therefore to the growth and prosperity of us all. Because what Cicero observed in ancient Rome still holds true today. He said, “Nothing so cements and holds together all the parts of a society as faith or credit.”  Our communities depend on both of those precious things just as much today.

As we launch this inquiry, I want to remind all of you that we value the feedback we get. We take it seriously, consider it carefully, and integrate it into our thinking and our approach as we figure out how best to go forward with this work. So we ask you to share your thoughts and experiences to help us get there. And we thank you again for joining us today.

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The Consumer Financial Protection Bureau is a 21st century agency that helps consumer finance markets work by making rules more effective, by consistently and fairly enforcing those rules, and by empowering consumers to take more control over their economic lives. For more information, visit consumerfinance.gov.

PRESS RELEASE: CONSUMER FINANCIAL PROTECTION BUREAU EXPLORES WAYS TO ASSESS THE AVAILABILITY OF CREDIT FOR SMALL BUSINESSES

consumer financial protection bureau

FOR IMMEDIATE RELEASE:
May 10, 2017

CONTACT:
Office of Communications
Tel: (202) 435-7170

CONSUMER FINANCIAL PROTECTION BUREAU EXPLORES WAYS TO ASSESS THE AVAILABILITY OF CREDIT FOR SMALL BUSINESSES 
CFPB Asks for Public Feedback on Ways to Bridge the Information Gap on Small Business Lending

Washington, D.C. – The Consumer Financial Protection Bureau today launched an inquiry into ways to gather and use new and existing information to identify the financing needs of small businesses, especially those owned by women and minorities. Small businesses typically need access to credit to take advantage of growth opportunities, yet public information on this lending market is inconsistent and incomplete. The Request for Information asks for public feedback to help the Bureau better understand how to bridge this information gap. The Dodd-Frank Wall Street Reform and Consumer Protection Act requires the CFPB to collect data about small business lending to help identify needs and opportunities in the market and to facilitate enforcement of fair lending laws.

“Small businesses fuel America’s economic engine, create jobs, and nurture communities. Yet little is known about how well the lending market serves their financing needs,” said CFPB Director Richard Cordray. “This inquiry will help us learn how we can best fulfill our duty to collect and report information on small business lending.”

The Request for Information can be found at: http://files.consumerfinance.gov/f/documents/201705_cfpb_RFI_Small-Business-Lending-Market.pdf

Small businesses foster community development and fuel economic growth both nationally and locally, and access to financing is crucial to their success. It is estimated that small businesses provide jobs for almost half of all private sector employees, and have created two out of every three jobs since 1993. A 2013 study by the Federal Reserve Bank of Atlanta found that counties with a higher percentage of their workforce employed by small local businesses showed higher local income and employment rates, and lower poverty rates. Based on publicly available data, and depending on the definition used, there are an estimated 27.6 million small businesses in the United States. This includes 9.8 million businesses owned by women and 7.9 million businesses owned by minorities.

Today, the CFPB is also releasing a white paper reviewing the available evidence concerning the small business lending landscape. The Bureau estimates that small businesses access about $1.4 trillion in financing. However, current information on how small businesses engage with credit markets is incomplete or dated and does not paint a full picture of access to financing, particularly for small business owned by women and minorities. For example, current information does not reflect whether there is more or less access to credit for a small business depending on its type or location. Nor does it show to what extent small business lending is shifting from banks to alternative lenders. And it does not indicate whether the tighter credit triggered by the Great Recession still persists.

The CFPB’s Request for Information aims to enhance the Bureau’s understanding of the small business lending industry. Section 1071 of the Dodd-Frank Act requires financial institutions to compile, maintain, and report information about their applications for loans from small businesses, including those owned by women and minorities, in accordance with regulations to be issued by the Bureau. Today’s action is a first step toward crafting a rule for the collection and reporting of this lending data. The CFPB is exploring topics including:

  • What defines a small business: Despite the pivotal role it plays in the U.S. economy, small business has a number of widely different definitions. Some are based on the number of employees or annual receipts. The Bureau is seeking to learn more about how small businesses are defined by lenders and how that affects their credit application processes. From responses to the Request for Information, the Bureau aims to work toward a practical definition.
  • What institutions lend to small businesses and what products are offered: In its Request for Information, the CFPB is seeking to learn more about where small businesses turn for financing and the various products they choose. The Bureau is also looking into the roles of lending marketplaces, brokers, dealers, and other third parties in the small business lending application process.
  • What types of business lending information are used by financial institutions: The Bureau aims to learn more about the business lending information that is currently used, maintained, and reported by financial institutions. This includes what types of data are collected from small business borrowers, and when it is collected during the application process. The Bureau is exploring how best to implement a reporting requirement for this information that will meet the objectives of Section 1071 while minimizing the burden on financial institutions.
  • Privacy impact of the public release of small business lending data:Some data that may be collected could involve sensitive, private, or confidential information. The CFPB is exploring how to protect the privacy of loan applicants and borrowers, as well as the confidentiality interests of financial institutions in this process. The Request for Information provides an opportunity for the public to discuss ways the information can be shared as required by statute while easing privacy and confidentiality concerns.

The CFPB is requesting comments from individual businesses, consumer groups, community development organizations, bank and nonbank lenders, regulators, and all other interested parties. The comment period for the public inquiry will end 60 days after the Request for Information is officially published in the Federal Register.

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The Consumer Financial Protection Bureau is a 21st century agency that helps consumer finance markets work by making rules more effective, by consistently and fairly enforcing those rules, and by empowering consumers to take more control over their economic lives. For more information, visit consumerfinance.gov.

Insurance Tips from Adriana’s Insurance: www.adrianasinsurance.com

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4 Types of Coverage to Protect your Next Trip

by Adriana’s Insurance

Whether it’s for business or pleasure, traveling on vacation is a riskier routine than most people realize. It’s easy to plan for the fun and leisure you expect to enjoy, but ignoring the possibility of accidents and mishaps sets the stage for a host of avoidable problems. People can fall ill while on vacation for example. Or they can encounter theft and loss of property. Almost everyone has a horror story or two about misplaced wallets, reckless baggage handlers, stolen cameras, or even cracked cell phones while on vacation. The farther away the journey is from home, the more important it is to make sure you are protected from being stranded under difficult circumstances. Travel insurance certainly can’t prevent bad things from happening. It can, however, soften the blow of having to make difficult decisions suddenly in a strange environment.

Travel Insurance refers to insurance coverage that is specifically designed to supplement or provide monetary compensation for costs related to medical treatment, lost property, accidents, trip cancellation and other calamities that occur while traveling domestically or abroad. There are four main types of coverage related to travel insurance:

1. Emergency Medical Coverage
2. Personal Effects Coverage
3. Trip Cancellation Coverage
4. Accidental Death Coverage

Emergency Medical Coverage
Medical coverage related to travel insurance specifically targets emergency healthcare situations in which travelers have to seek treatment from unfamiliar health care providers. Emergency medical coverage can offer compensation for expenses such as hospital stays, minor treatment, or special travel accommodations like air-lifting and general evacuation. Emergency medical coverage is perhaps the most important reason people should purchase travel insurance because needing medical treatment outside of your medical provider network can happen over even the simplest decisions… like going for it on that plate of sautéed frog’s legs.

2. Personal Effects Coverage
Can you imagine spending days taking the perfect selfies on location only to lose your phone to a pickpocket? Or shopping for a treasure trove of exotic clothes only to have an airline lose your luggage on the way home? There’s a sinking feeling in the pit of your belly that happens when you lose something valuable. That feeling doesn’t have to be there though with personal effects coverage. Personal effects coverage related to travel insurance provides travelers with a financial consolation in the event that their possessions are stolen, damaged or lost during a trip. This type of coverage requires subscribers to provide their insurers with a detailed inventory of personal belongings. Because personal effects coverage is also featured in policies for homeowners and renters insurance, it’s important to confirm whether there is any overlapping coverage before opting to purchase it under travel insurance.

3. Trip Cancellation Coverage
We’ve all been there. The tickets were bought, the rental was booked, the hotel reservations were locked in, and out of nowhere, boom – a change of plans makes following through impossible. It’s painful to watch all those Mai Tais at the beach you daydreamed of just vanish into thin air. Canceled plans are the worst but there’s an easy way to get your cash back even in the tightest emergencies. Trip cancellation coverage is an option under travel insurance that provides financial reimbursement for situations where passengers are compelled to abandon their travel plans unexpectedly. This could happen for any number of reasons. For instance, an accident could make it necessary to go home as soon as possible, or a natural disaster could make traveling to a desired destination out of the question. During such events, having coverage that reimburses subscribers for the unused portion of their travel provides a cushion against losing money over squandered bookings.

4. Accidental Death Coverage
Accidental death coverage related to travel insurance provides financial support in the event of bereavement during travel. It gives subscribers the option to facilitate transportation and burial needs that would otherwise create strain for friends and family who bear the responsibility of organizing funeral arrangements. As is the case with personal effects coverage, it’s important to confirm whether there’s any overlap between accidental death policies and any life insurance policy you may currently have.

Travel insurance varies based on the intended destination and duration of travel. Nonetheless, the more elaborate the trip, the more important it is to protect oneself from the possibility of suffering preventable financial losses. For more information, visit any of our offices or give us a call at 1-800-639-7654 to find out how Adriana’s Insurance Services can help you secure comprehensive coverage that caters to your unique needs.

Adriana’s Insurance | May 9, 2017 at 11:10 am | URL: http://wp.me/p6wQuY-1jM