CLS Blue Sky Blog

Paul Weiss Offers Lessons Learned from the OCC Review of Wells Fargo Sales Practices

On April 19, 2017, the Office of the Comptroller of the Currency (“OCC”) released its “Lessons Learned Review of Supervision of Sales Practices at Wells Fargo.”[i] The report results from Comptroller Thomas Curry’s directive for an “independent review” of the Wells Fargo supervisory record to “identify any supervision gaps and lessons learned to improve the OCC’s supervisory processes going forward.”

The OCC report mirrors some of the themes of the Wells Fargo investigation report, which we have discussed in a prior memorandum.[ii] According to the OCC report, examiners missed opportunities to probe more deeply into sales practices problems, search for root causes, and demand more timely corrective action. The report likely will prompt the OCC and other banking agencies to bolster their efforts, such as by engaging in more detailed testing and investigation into root causes, taking a stricter approach to remediation and deadlines, making greater efforts to accept and review whistleblower complaints, and strengthening procedures for launching horizontal reviews after problems are identified at one institution.

Below we describe some of the OCC report’s key findings and “lessons learned.”

Key Findings Regarding Deficiencies in the Supervisory Process

Lessons Learned for Improving Supervision

The report concludes that the OCC’s supervision of the bank since 2010 provides “meaningful lessons learned” relating to effective bank supervision. The report identifies nine “lessons learned” for the OCC’s Large Bank Supervision unit, including:

ENDNOTES

[i] See Lessons Learned Review of Supervision of Sales Practiced at Wells Fargo (Apr. 19, 2017), available here. The OCC report was issued by the Office of Enterprise Governance and the Ombudsman.

[ii] See Paul, Weiss Client Memorandum “Lessons Learned from the Wells Fargo Sales Practices Investigation Report” (Apr. 18, 2017), available here. We have also described CFPB’s guidance on steps that regulated entities should take in managing sales and other compensation incentives. See Paul, Weiss Client Memorandum “The CFPB Issues Guidance on Effective Compliance Oversight Over Sales and Other Incentives” (Dec. 1, 2016), available here.

This post comes to us from Paul, Weiss, Rifkind, Wharton & Garrison LLP. It is based on the firm’s memorandum, “The OCC Issues ‘Lessons Learned’ Review of its Supervision of Sales Practices at Wells Fargo,” dated April 11, 2017, and available here.

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