OnPath Federal Credit Union v. United States Department of Treasury, Community Development Financial Institutions Fund

CourtDistrict Court, E.D. Louisiana
DecidedJanuary 28, 2022
Docket2:20-cv-01367
StatusUnknown

This text of OnPath Federal Credit Union v. United States Department of Treasury, Community Development Financial Institutions Fund (OnPath Federal Credit Union v. United States Department of Treasury, Community Development Financial Institutions Fund) is published on Counsel Stack Legal Research, covering District Court, E.D. Louisiana primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
OnPath Federal Credit Union v. United States Department of Treasury, Community Development Financial Institutions Fund, (E.D. La. 2022).

Opinion

UNITED STATES DISTRICT COURT EASTERN DISTRICT OF LOUISIANA

ONPATH FEDERAL CREDIT UNION CIVIL ACTION

VERSUS NO. 20-1367

UNITED STATES DEPARTMENT OF SECTION “R” (2) TREASURY, COMMUNITY DEVELOPMENT FINANCIAL INSTITUTIONS FUND

ORDER AND REASONS

Before the Court are cross-motions for summary judgment by defendant the United States Department of Treasury, Community Development Financial Institutions Fund (“the CDFI Fund”),1 and plaintiff OnPath Federal Credit Union (“OnPath”).2 Each party opposes the other’s motion.3 Because the CDFI Fund’s repayment demand was not arbitrary and capricious, the Court grants defendant’s motion, and denies plaintiff’s motion.

1 R. Doc. 19. 2 R. Doc. 52. 3 R. Docs. 34 & 56. I. BACKGROUND This case involves a demand by the Treasury Department that OnPath

Federal Credit Union repay approximately twelve million dollars in awards that it received from the Treasury’s CDFI Program for fiscal years (“FYs”) 2006 through 2009, 2011, and 2012. The facts in the case are essentially undisputed.

The Treasury Department’s CDFI Fund supports financial institutions that serve low-income and historically underserved individuals and communities.4 Institutions seeking support from the CDFI Fund must apply

for and receive CDFI certification in order to become eligible to apply for awards. 12 C.F.R. § 1805.200(a)(2). To become certified as a CDFI, an institution must, among other regulatory criteria, serve a “Target Market.” Id. § 1805.201(b)(3). An applicant may show that it serves a Target Market

by demonstrating in its application that it provides financial products or services to at least one (a) “Investment Area,” or (b) “Targeted Population.” Id. § 1805.201(b)(3)(i). An “Investment Area” is a geographic unit that either (a) meets certain

regulatory criteria for economic distress, and “has significant unmet needs” for financial products and services; or (b) encompasses or is wholly located

4 R. Doc. 19-4 at 144 (OIG Audit Report). within an Empowerment Zone or Enterprise Community designated in the Internal Revenue Code. See id. § 1805.201(b)(3)(ii). A “Targeted

Population” includes individuals who are low-income or lack adequate access to financial products and services. See id. § 1805.201(b)(3)(iii). The CDFI Fund’s certification application divides Targeted Populations into Low-Income Targeted Populations (“LITPs”) and Other Targeted

Populations (“OTPs”). LITPs consist of individuals whose family income is not more than: for metropolitan areas, 80% of the area median family income; or, for non-metropolitan areas, the greater of 80% of the area

median family income or 80% of the statewide non-metropolitan area median family income.5 OTPs consist of individuals in certain racial and ethnic groups, as well as other demographically defined groups, if such individuals have unmet needs for financial products and services.6

The CDFI Fund’s certification application indicates that, to meet the Target Market criterion, an applicant must show that it directs at least 60% or more of its activities to a Target Market, defined with reference to either Investment Areas or Targeted Populations.7 The applicant must also explain

5 Id. at 19 (OnPath’s Application for CDFI Certification). 6 Id. at 21. 7 Id. at 20-22. the methodology it used to calculate this percentage.8 To determine whether the Target Market requirement is satisfied, the CDFI Fund relies on the data

and methodology provided by the applicant.9 The application states that, if an applicant does not meet the 60% threshold, then it has “not . . . demonstrated that it meets the Target Market Requirement[,] and will not be certified” as a CDFI.10

In the fall of 2005, OnPath, a federal credit union based in Louisiana,11 began the application process for CDFI certification.12 Early correspondence from OnPath to the CDFI Fund indicates that OnPath set out to meet the

Target Market requirement by using Investment Areas, but had technical difficulties. Specifically, OnPath wrote to the CDFI Fund that it had imported over 80,000 of its members’ addresses to the CDFI Fund’s system,

8 Id. at 145 (OIG Audit Report). 9 Id. 10 Id. at 21 (OnPath’s Application for CDFI Certification). 11 Documents and communications from this period refer to OnPath as ASI Federal Credit Union (“ASI”). ASI changed its name to OnPath in 2019. See Press Release, ASI Federal Credit Union rebrands as OnPath Federal Credit Union (Nov. 22, 2019), https://www.cuinsight.com/press-release/asi-federal-credit-union- rebrands-as-%EF%BB%BFonpath-federal-credit-union. For consistency’s sake, this Order and Reasons refers to plaintiff as “OnPath,” and, as needed, alters using brackets any quoted material containing “ASI.” 12 R. Doc. 34-4 at 1 (Email from Sarah Taylor to CDFI Fund) (Oct. 20, 2005). but that, when it attempted to “geocode the addresses,” it received “error messages stating that the format [was] invalid.”13 OnPath ultimately decided

not to rely on Investment Areas in its certification application,14 and instead submitted that it satisfied the Target Market requirement by virtue of serving LITP individuals.15 On December 22, 2005, OnPath submitted its certification application

to the CDFI Fund.16 OnPath indicated that it served LITP individuals17 in three areas of Louisiana: (i) the Metairie-Kenner-New Orleans metropolitan statistical area (“MSA”), (ii) the Houma-Bayou Cane-Thibodaux MSA, and

(iii) non-metropolitan areas of Louisiana.18 OnPath identified these three areas as comprising its Target Market, and indicated that it directed a sufficient amount of financial products and services to LITP individuals in these areas. OnPath submitted figures demonstrating that it met the 60%

threshold as to each of six distinct metrics related to membership and financial activities. The table below summarizes OnPath’s Target Market

13 Id. 14 R. Doc. 19-4 at 19 (OnPath’s Application for CDFI Certification) (“Does the Applicant serve an Investment Area(s)?” . . . “No”). 15 Id. (“Does the Applicant serve a Low-Income Targeted Population(s)? Yes.”). 16 Id. at 4. 17 Id. at 19. 18 See id. at 32-33. contributions by area, as submitted in its certification application. All data correspond to FY 2004.19

Percentage corresponding to LITP in the area Metairie- Houma-Bayou Non-Metro Metric Kenner-New Cane-Thibodaux Areas Orleans MSA MSA Number of loans 79% 74% 69% Loan balances 64% 63% 61% Number of 78% 66% 60% deposit accounts Deposit account 63% 64% 62% balances Number of 83% 73% 65% members Number of 80% 64% 61% member accounts

OnPath also explained in its application how it determined whether a member satisfied the LITP criteria, and, in turn, how it calculated the above percentages so as to meet the Target Market requirement. Specifically, OnPath wrote that it verified distribution of financial products and services to the designated target market by running [Marketing Customer Information File (“MCIF”)] reports based on members’ zip codes. Through this process, [it was] able to determine how many households, members, accounts, loans and loan dollars,

19 Id. deposits and deposit dollars, . . . fell within each designated Low Income Targeted Population.20 The third-party MCIF data contained member income levels, allowing OnPath to match financial activity with income, and classify certain members and transactions as corresponding to LITP individuals in each

geographic area.21 On January 24, 2006, OnPath received CDFI certification.22 It received technical and financial assistance awards from the CDFI Fund for

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OnPath Federal Credit Union v. United States Department of Treasury, Community Development Financial Institutions Fund, Counsel Stack Legal Research, https://law.counselstack.com/opinion/onpath-federal-credit-union-v-united-states-department-of-treasury-laed-2022.