Financial Education and Counseling Services Definition
Purpose
Clients who receive Financial Education and Counseling services learn to solve financial problems and gain personal financial management skills.Definition
Note:Throughout this section, clients are persons who use, receive, or benefit from services and educational programs and for whom a client file has been created. Consumers are persons, groups, or organizations who could use, receive, or benefit from services and educational programs and for whom a client file has not been established, for example, potential clients.
Note:Throughout this section Debt Management Plan is referred to as DMP.
Note:Please see FEC Reference List for the research that informed the development of these standards.
Note:For information about changes made in the 2020 Edition, please see the FEC Crosswalk.
Financial Education and Counseling Services (FEC) 1: Person-Centered Logic Model
Logic models have been implemented for all programs and the organization has identified at least two outcomes for all its programs.
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- Logic models need improvement or clarification; or
- Logic models are still under development for some of its programs, but are completed for all high-risk programs such as protective services, foster care, residential treatment, etc.; or
- At least one client outcome has been identified for all of its programs; or
- All but a few staff have been trained on use of therapeutic interventions and training is scheduled for the rest; or
- With few exceptions the policy on prohibited interventions is understood by staff, or the written policy needs minor clarification.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Logic models need significant improvement; or
- Logic models are still under development for a majority of programs; or
- A logic model has not been developed for one or more high-risk programs; or
- Outcomes have not been identified for one or more programs; or
- Several staff have not been trained on the use of therapeutic interventions; or
- There are gaps in monitoring of therapeutic interventions, as required; or
- There is no process for identifying risks associated with use of therapeutic interventions; or
- Policy on prohibited interventions does not include at least one of the required elements.
- Logic models have not been developed or implemented; or
- Outcomes have not been identified for any programs; or
- There is no written policy or procedures for the use of therapeutic interventions; or
- Procedures are clearly inadequate or not being used; or
- Documentation on therapeutic interventions is routinely incomplete and/or missing; or
- There is evidence that clients have been harmed by inappropriate or unmonitored use of therapeutic interventions.
FEC 1.01
- needs the program will address;
- available human, financial, organizational, and community resources (i.e. inputs);
- program activities intended to bring about desired results;
- program outputs (i.e. the size and scope of services delivered);
- desired outcomes (i.e. the changes you expect to see in clients); and
- expected long-term impact on the organization, community, and/or system.
Examples: Information that may be used to inform the development of the program logic model includes, but is not limited to:
- needs assessments and periodic reassessments;
- risks assessments conducted for specific interventions; and
- the best available evidence of service effectiveness.
FEC 1.02
Financial Education and Counseling Services (FEC) 2: Personnel
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- With some exceptions, staff (direct service providers, supervisors, and program managers) possess the required qualifications, including education, experience, training, skills, temperament, etc., but the integrity of the service is not compromised; or
- Supervisors provide additional support and oversight, as needed, to the few staff without the listed qualifications; or
- Most staff who do not meet educational requirements are seeking to obtain them; or
- With few exceptions, staff have received required training, including applicable specialized training; or
- Training curricula are not fully developed or lack depth; or
- Training documentation is consistently maintained and kept up-to-date with some exceptions; or
- A substantial number of supervisors meet the requirements of the standard, and the organization provides training and/or consultation to improve competencies when needed; or
- With few exceptions, caseload sizes are consistently maintained as required by the standards or as required by internal policy when caseload has not been set by a standard; or
- Workloads are such that staff can effectively accomplish their assigned tasks and provide quality services and are adjusted as necessary; or
- Specialized services are obtained as required by the standards.
- A significant number of staff (direct service providers, supervisors, and program managers) do not possess the required qualifications, including education, experience, training, skills, temperament, etc.; and as a result, the integrity of the service may be compromised; or
- Job descriptions typically do not reflect the requirements of the standards, and/or hiring practices do not document efforts to hire staff with required qualifications when vacancies occur; or
- Supervisors do not typically provide additional support and oversight to staff without the listed qualifications; or
- A significant number of staff have not received required training, including applicable specialized training; or
- Training documentation is poorly maintained; or
- A significant number of supervisors do not meet the requirements of the standard, and the organization makes little effort to provide training and/or consultation to improve competencies; or
- There are numerous instances where caseload sizes exceed the standards' requirements or the requirements of internal policy when a caseload size is not set by the standard; or
- Workloads are excessive, and the integrity of the service may be compromised; or
- Specialized staff are typically not retained as required and/or many do not possess the required qualifications; or
- Specialized services are infrequently obtained as required by the standards.
FEC 2.01
FEC 2.02
FEC 2.03
FEC 2.04
- legal issues that affect the delivery of service;
- knowledge of community resources and referral networks; and
- action planning and monitoring tools.
FEC 2.05
- the qualifications, competencies, and experience of the worker, including the level of supervision needed;
- the work and time required to accomplish assigned tasks and job responsibilities; and
- service volume, accounting for assessed level of needs of clients.
Financial Education and Counseling Services (FEC) 3: Service Initiation
- Minor inconsistencies and not yet fully developed practices are noted; however, these do not significantly impact service quality; or
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- In a few rare instances, urgent needs were not prioritized; or
- For the most part, established timeframes are met; or
- Culturally responsive assessments are the norm and any issues with individual staff members are being addressed through performance evaluations and training; or
- Active client participation occurs to a considerable extent.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Urgent needs are often not prioritized; or
- Services are frequently not initiated in a timely manner; or
- Applicants are not receiving referrals, as appropriate; or
- Assessment and reassessment timeframes are often missed; or
- Assessments are sometimes not sufficiently individualized;
- Culturally responsive assessments are not the norm, and this is not being addressed in supervision or training; or
- Several client records are missing important information; or
- Client participation is inconsistent; or
- Intake or assessment is done by another organization or referral source and no documentation and/or summary of required information is present in case record.
- There are no written procedures, or procedures are clearly inadequate or not being used; or
- Documentation is routinely incomplete and/or missing.
FEC 3.01
- support timely initiation of services and identify what services will be available and when; and
- ensure consumers are not denied access to services.
FEC 3.02
- a process for obtaining authorization prior to providing services via the telephone or internet, as applicable;
- the process for verifying consumer identity prior to responding to information requests;
- how the organization obtains funding;
- the process for obtaining the client’s credit report, and the potential impact service may have on credit reports, as applicable;
- how confidential information is stored and used;
- the complaint tracking and resolution process;
- debt relief options the client may pursue including working directly with creditors, a debt management program, and attorney-assisted options; and
- disclosure of fees for the initial session.
FEC 3.03
- a preliminary evaluation of the request for service and client goals;
- an evaluation of income, expenses, assets and liabilities, as appropriate;
- a review of the client’s housing status, including an affordability analysis and any potential threats to safe and adequate housing; and
- determination of the need for related service referrals when the person cannot be served, or cannot be served promptly.
FEC 3.04
FEC 3.05
- do not deny service based on inability to pay;
- do not charge fees in advance of service;
- establish reasonable fees for services; and
- ensure the fee structure complies with applicable federal and state law.
Financial Education and Counseling Services (FEC) 4: Development of an Action Plan
- Minor inconsistencies and not yet fully developed practices are noted; however, these do not significantly impact service quality; or
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- For the most part, established timeframes are met; or
- Proper documentation is the norm and any issues with individual staff members are being addressed through performance evaluations and training; or
- Active client participation occurs to a considerable extent.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Timeframes are often missed; or
- Several client records are missing important information; or
- Client participation is inconsistent.
- No written procedures, or procedures are clearly inadequate or not being used; or
- Documentation is routinely incomplete and/or missing.
FEC 4.01
- considers the urgency of the problem and the length of service required to achieve appropriate results, and focuses on timely resolution of the needs presented;
- includes a summary of the client’s financial situation including assets, liabilities, income, living expenses, debt, and housing;
- states the client’s goals, actions necessary for achieving those goals, and their responsibilities;
- describes the array of options available to the client, including bankruptcy, as applicable;
- indicates referrals made for other services, as applicable; and
- includes the client’s signature.
Interpretation: Information listed above may be included in other related documents, such as the client’s budget.
FEC 4.02
Financial Education and Counseling Services (FEC) 5: Financial Education and Counseling Services
- Minor inconsistencies and not yet fully developed practices are noted; however, these do not significantly impact service quality; or
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- For the most part, established timeframes are met; or
- Proper documentation is the norm and any issues with individual staff members are being addressed through performance evaluations and training; or
- Active client participation occurs to a considerable extent.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Timeframes are often missed; or
- Several client records are missing important information; or
- Client participation is inconsistent.
- No written procedures, or procedures are clearly inadequate or not being used; or
- Documentation is routinely incomplete and/or missing.
FEC 5.01
- public and non-profit resources that can offer assistance; and
- applicable laws and regulations.
FEC 5.02
- negotiating directly with creditors on payment or interest rate relief;
- changing buying habits;
- strategies for saving money;
- custom designed payment plans; and
- advantages and challenges of all options, including payment plans and options for student loans, bankruptcy, DMPs, and self-administered payment plans.
FEC 5.03
- affordable levels of debt and debt warning signs;
- appropriate use of credit and alternatives to credit use;
- financial implications of student loan modification actions;
- types, sources, and costs of credit and loans;
- solving credit problems;
- obtaining and understanding credit reports;
- re-establishing credit; and
- alternatives to bankruptcy.
FEC 5.04
- establish short and long-term financial goals and how to achieve them;
- calculate gross and net monthly income; and
- identify and classify monthly expenses as fixed, variable, or periodic.
FEC 5.05
- how to maintain adequate financial records;
- making decisions about purchases based on wants and needs;
- the value of insurance coverage; and
- saving for emergencies, periodic expenses, and long-term goals.
FEC 5.06
- counseling and education programs to a wide range of groups through various mediums, such as online technology, in educational settings, in public settings, and in the potential service area; and
- information about its services to potential referral sources, such as employee assistance programs and social service organizations.
Financial Education and Counseling Services (FEC) 6: Housing Counseling and Education Services
NAThe organization does not provide any housing counseling and education services.
NA The organization is only assigned the Financial Education and Counseling (FEC) standards and wishes to exclude review of their HUD-approved housing counseling agency.
- Minor inconsistencies and not yet fully developed practices are noted; however, these do not significantly impact service quality; or
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- For the most part, established timeframes are met; or
- Proper documentation is the norm and any issues with individual staff members are being addressed through performance evaluations and training; or
- Active client participation occurs to a considerable extent.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Timeframes are often missed; or
- Several client records are missing important information; or
- Client participation is inconsistent.
- No written procedures, or procedures are clearly inadequate or not being used; or
- Documentation is routinely incomplete and/or missing.
FEC 6.01
- developing a budget that identifies projected costs of homeownership to help assess readiness to purchase a home;
- the benefits and responsibilities of owning a home;
- an overview of the homebuying and mortgage loan process;
- how to calculate the affordability of owning a home, including the impact of debt; and
- the importance of setting financial goals and maintaining good credit.
FEC 6.02
- appropriate types and sources of mortgage loans;
- understanding how lenders evaluate credit and determine mortgage readiness;
- how to avoid predatory loans;
- resources available to assist with home purchases;
- what to do if the loan is denied; and
- loan closing costs and procedures.
FEC 6.03
- the professionals involved in the real estate and homebuying process;
- making an offer;
- having a purchase contract;
- home inspections; and
- escrow funds.
FEC 6.04
- homeowner rights and responsibilities;
- organizations that provide resources to assist with financial issues;
- costs associated with utilities, taxes, insurance, and maintenance;
- energy efficiency;
- community involvement;
- refinancing, reverse mortgages, home equity loans, and home improvement loans; and
- calculating home equity.
FEC 6.05
- identification of the status of the client’s mortgage;
- a budget that includes a review of income, living expenses, and other debts;
- the repercussions of a defaulted mortgage and foreclosure;
- the client’s options to resolve the mortgage crisis; and
- services available that can provide assistance and relief for the client’s current crisis.
FEC 6.06
- HUD rental, rent subsidy programs, and other federal, state, and/or local assistance;
- fair housing;
- landlord tenant laws;
- lease terms;
- rent delinquency; and
- housing search resources.
FEC 6.07
- the benefits and disadvantages of a reverse equity mortgage;
- client eligibility;
- payment options;
- the fees and associated costs of the reverse equity mortgage product;
- time sensitivity issues related to the mortgage; and
- indicators for foreclosure, such as death, sale of the property, or insurance or tax delinquency.
FEC 6.08
Financial Education and Counseling Services (FEC) 7: Debt Management Plans
- Minor inconsistencies and not yet fully developed practices are noted; however, these do not significantly impact service quality; or
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- For the most part, established timeframes are met; or
- Proper documentation is the norm and any issues with individual staff members are being addressed through performance evaluations and training; or
- Active client participation occurs to a considerable extent.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Timeframes are often missed; or
- Several client records are missing important information; or
- Client participation is inconsistent.
- No written procedures, or procedures are clearly inadequate or not being used; or
- Documentation is routinely incomplete and/or missing.
FEC 7.01
- permission to contact the client’s creditors to verify obligations and negotiate adjustments and payment schedules; and
- a payment schedule and budget for the repayment period.
FEC 7.02
- reflect the client’s best efforts to repay debts he or she currently can afford in accord with creditor policy;
- are established for no longer than 60 months without management approval or as provided by state law; and
- advise the client to close all lines of credit and refrain from obtaining future credit without consulting with the organization.
FEC 7.03
- whether DMPs are used for secured, unsecured, or both forms of debt;
- the dual role DMPs serve in helping clients repay debts and creditors receive monies owed to them;
- client responsibilities;
- an enumeration of debts included in the plan and the proposed payment for each creditor;
- the total debt owed as disclosed by the client, and the total DMP debt;
- that a creditor’s contribution to the organization, if any, will not affect the organization’s willingness to work with the client’s creditors;
- that the client’s account is always credited with 100 percent of the amount paid;
- that the client is responsible for alerting the organization to any discrepancies between its statement to the client and the amount posted on the statement from the creditor;
- information about the benefits of increasing payment amounts to speed debt liquidation; and
- the impact of late or missed deposits to creditor payments and concessions.
FEC 7.04
- the client’s signature, made before the initial disbursement;
- a statement regarding the client’s right to cancel the DMP contract within a specified period;
- the estimated timeframe for completing service objectives, barring unforeseen developments;
- estimated finance charges or creditor fees associated with payment plans or extensions that may increase total indebtedness; and
- an estimate of total fees to be paid to the organization over the term of the agreement.
Interpretation: Regarding bullet d, the organization should indicate, when applicable, that the estimated fees are based on current creditor polices and may change over time.
Financial Education and Counseling Services (FEC) 8: Administration of the Debt Management Plan
- Minor inconsistencies and not yet fully developed practices are noted; however, these do not significantly impact service quality; or
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- For the most part, established timeframes are met; or
- Proper documentation is the norm and any issues with individual staff members are being addressed through performance evaluations and training; or
- Active client participation occurs to a considerable extent.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Timeframes are often missed; or
- Several client records are missing important information; or
- Client participation is inconsistent.
- No written procedures, or procedures are clearly inadequate or not being used; or
- Documentation is routinely incomplete and/or missing.
FEC 8.01
- promptly disburses client funds following a payment schedule in the client’s best interests and within no more than 30 business days of receipt or as required by state law;
- promptly disburses money in emergency situations;
- offers a variety of client deposit options including electronic methods;
- assumes responsibility for remediating errors caused by its actions; and
- ensures the payment schedule does not cause a negative amortization situation.
FEC 8.02
- within a timeframe that meets the client’s best interests;
- according to the creditor policy;
- according to applicable federal and state law; and/or
- within five business days of issuance of the first payment, in the absence of creditor policy or law.
FEC 8.03
FEC 8.04
- being responsive to client questions and concerns;
- informing the client of issues that arise;
- offering regular progress reviews of program and budget; and
- assisting clients by adjusting their program and budget when the client indicates a change in financial situation.
FEC 8.05
- the client is notified in writing of the discontinuation;
- the client is informed of the potential consequences of discontinuation, through verbal or written communications, such as missed payments and/or DMP discontinuation notices; and
- the basis for exceptions to discontinuation are documented in the client’s file, when exceptions are granted.
Financial Education and Counseling Services (FEC) 9: Creditor Relations
Interpretation: An organization that uses a third party electronic payment provider is responsible for all of the standards in this section, and should:
- ensure that the standards are reflected in the contract; and
- establish a process to confirm that contract obligations are being upheld.
- Minor inconsistencies and not yet fully developed practices are noted; however, these do not significantly impact service quality; or
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- For the most part, established timeframes are met; or
- Proper documentation is the norm and any issues with individual staff members are being addressed through performance evaluations and training; or
- Active client participation occurs to a considerable extent.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Timeframes are often missed; or
- Several client records are missing important information; or
- Client participation is inconsistent.
- No written procedures, or procedures are clearly inadequate or not being used; or
- Documentation is routinely incomplete and/or missing.
FEC 9.01
FEC 9.02
- promptly informs the creditor upon discovery of a posting problem;
- promptly refunds to the client or creditor any improperly credited amount; and
- either bills the creditor for its fair share and remits the client’s gross payment, or deducts the fair share contribution from the client’s payment, according to the creditor’s requirements.
FEC 9.03
Financial Education and Counseling Services (FEC) 10: Referrals and System Collaborations
- Minor inconsistencies and not yet fully developed practices are noted; however, these do not significantly impact service quality; or
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- For the most part, established timeframes are met; or
- Proper documentation is the norm and any issues with individual staff members are being addressed through performance evaluations and training; or
- In a few instances, client or staff signatures are missing and/or not dated; or
- With few exceptions, staff work with persons served, when appropriate, to help them receive needed support, access services, mediate barriers, etc.; or
- Active client participation occurs to a considerable extent.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Timeframes are often missed; or
- In several instances, client or staff signatures are missing and/or not dated; or
- Quarterly reviews are not being done consistently; or
- Level of care for some clients is clearly inappropriate; or
- Service planning is often done without full client participation; or
- Appropriate family involvement is not documented; or
- Documentation is routinely incomplete and/or missing; or
- Individual staff members work with persons served, when appropriate, to help them receive needed support, access services, mediate barriers, etc., but this is the exception.
- No written procedures, or procedures are clearly inadequate or not being used; or
- Documentation is routinely incomplete and/or missing.
FEC 10.01
The organization should also provide clients with access to information on mental health services, educational opportunities, economic security, transportation, housing, consumer protection, legal referral services, and other community supports through referrals and resource materials. Individuals experiencing a financial crisis, including foreclosure and eviction, are more likely to experience high levels of stress, poor physical health, depression, anxiety, and risk for suicide. When identified, these individuals should be referred to appropriate crisis and support services.
FEC 10.02
Financial Education and Counseling Services (FEC) 11: Client File Review
- assessment;
- debt management plans, as appropriate;
- results of service in relation to objectives and potential problems; and
- client retention.
- Minor inconsistencies and not yet fully developed practices are noted; however, these do not significantly impact service quality; or
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- For the most part, established timeframes are met; or
- Proper documentation is the norm and any issues with individual staff members are being addressed through performance evaluations and training; or
- Active client participation occurs to a considerable extent.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Timeframes are often missed; or
- Several client records are missing important information; or
- Client participation is inconsistent.
- No written procedures, or procedures are clearly inadequate or not being used; or
- Documentation is routinely incomplete and/or missing.
Financial Education and Counseling Services (FEC) 12: Business Ethics
- Minor inconsistencies and not yet fully developed practices are noted; however, these do not significantly impact service quality; or
- Procedures need strengthening; or
- With few exceptions, procedures are understood by staff and are being used; or
- For the most part, established timeframes are met; or
- Proper documentation is the norm and any issues with individual staff members are being addressed through performance evaluations and training; or
- Active client participation occurs to a considerable extent.
- Procedures and/or case record documentation need significant strengthening; or
- Procedures are not well-understood or used appropriately; or
- Timeframes are often missed; or
- Several client records are missing important information; or
- Client participation is inconsistent.
- No written procedures, or procedures are clearly inadequate or not being used; or
- Documentation is routinely incomplete and/or missing.
FEC 12.01
- accurately describe the range of services and options available, including bankruptcy;
- provide relevant contact information, including a current address, on all printed or electronic advertisements; and
- explain that receipt of financial education and counseling services does not guarantee participation in debt management program services.
FEC 12.02
Interpretation: The use of a locator service is permissible. These services connect an individual via telephone or a website with the nearest credit counseling organization based on the location of the person. There is a small fee each time a person is connected to pay for the locator services operation. According to 501q.1.f of the Internal Revenue Service code, 501c3 organizations cannot receive any amount of money for sending or receiving referrals for debt management plans.
FEC 12.03
- financial incentives for counselors based solely on the number of DMPs established; and
- financial penalties for counselors when clients assume responsibility for debt management or leave the program.