I. Defendants Erika Steiniger and Bank United, its officers,
employees, agents, successors and assigns are permanently
enjoined from establishing, publishing, or applying policies or
practices that request or require the disclosure of confidential
personal or medical information or the nature or extent of
disability and from any other discrimination on the basis of
disability as prohibited by the Fair Housing Act, 42 U.S.C. §
3604(f)(1), 42 U.S.C. § 3604(f)(2), and 42 U.S.C. § 3605.
II. Upon execution of this Agreement, Bank United will pay
compensatory damages to Gertrude Douglas, Angela Douglas, and
Teresa Harris in the sum of twenty-five thousand dollars
($25,000). In consideration of these payments, Gertrude Douglas,
for herself and on behalf of her minor children Angela Douglas
and Teresa Harris, will execute a release substantially in the
form of the release attached hereto as Attachment 1.
III. In order to ensure that handicapped persons are not subject
to any inquiries about their disability when they apply for a
mortgage loan using any income received based on a disability to
qualify, the parties agree that the following procedures may be
followed by Bank United when gathering information concerning
such income:
A. Following receipt of an application for a mortgage loan,
in which the applicant relies, in whole or in part, upon the
receipt of income based on disability to qualify for the loan,
the loan originator (or the loan processor to whom the loan
application is thereafter referred) may request the following
documentation with respect to such income:
1. A copy of the letter from the source of the payment
verifying the amount of such income;
2. Documentation from the source of the payment
concerning the period of time for which such income has
been received; and
3. Documentation indicating the conditions or
circumstances that would lead to the termination of
payments.
B. All documentation for loan applications of the nature
described in sub-paragraph (A) shall be retained with the loan
application file for a period of three years and three months
after the execution of this Agreement.
IV. Bank United shall maintain the following records:
A. A log, as attached hereto as Attachment 2, indicating
the name, address, age, and date of application for each person
who applies for a mortgage loan seeking to use disability income
to qualify;
B. Information related to any complaints, including but not
limited to complaints filed in court or with a regulatory or
administrative agency, against Defendants alleging
discrimination; and
C. All loan application files for each person who applies
for a mortgage loan seeking to use disability income.
V. Defendant, Bank United, shall conduct training concerning the
requirements of the Fair Housing Act and this Decree for all
employees or agents of Bank United with responsibility for
processing mortgage loans or assisting applicants in completing
applications for mortgage loans. Such training shall be provided
to all current employees and agents within 60 days of the date of
the entry of this Decree and, during the next three years and
three months, to all new employees in these job categories within
30 days of the commencement of their employment. Such training
may consist of video tapes or in-house classroom instruction and
shall be approved by the United States. All employees required
to attend this session shall complete a form acknowledging their
attendance. Employees who have received fair housing training
within the six-month period prior to the entry of the Decree are
exempt from this requirement, provided such training is approved
by the United States. However, those employees must receive
training on the requirements of this Decree, but this training
may consist entirely of written materials.
VI. Every six months, starting six months from this agreement
for three years, Bank United will provide the United States a
copy of the log described in IV(A) above and complaints described
in IV(B). Upon written request of the United States, Bank United
will also make available copies of loan application files
described in IV(C) above, the acknowledgment forms described in
V, and any other documents relevant to compliance with this
Decree.
VII. Duration of Decree and termination of legal action:
A. This Consent Decree shall remain in effect for three
(3) years and three (3) months after the date of its entry.
B. The parties agree that in the event it is determined in
any future action or proceeding brought by the United States or
any agency thereof that either Defendant has engaged in any
violation(s) of the Fair Housing Act, this Decree shall not be
used as a basis to find such violation(s) to be a "subsequent violation" pursuant to 42 U.S.C. § 3614(d)(1)(C)(ii).
C. Each Defendant is separately responsible for compliance
with this Decree.
D. This case is dismissed with prejudice, except that this
Court shall retain jurisdiction for the duration of the Consent
Decree to enforce the terms of this Consent Decree. After the
three-year and three month term of this Consent Decree, the
Defendants may move the Court to terminate this Consent Decree.
E. The parties to this Consent Decree shall endeavor in
good faith to resolve informally any differences regarding
interpretation of and compliance with this Decree prior to
bringing such matters to the Court for resolution. However, in
the event of a failure by Defendants to perform in a timely
manner any act required by this Consent Decree, or otherwise to
act in violation of any provision thereof, the United States may
move this Court to impose any remedy authorized by law or equity,
including, but not limited to, an order requiring performance of
such act or deeming such act to have been performed, and an award
of any damages, costs, and reasonable attorneys' fees which may
have been occasioned by the violation or failure to perform.
VIII. The United States and Defendants Bank United and Erika
Steiniger will bear their own costs and attorney's fees
associated with this litigation.
Agreed to by the parties as indicated by the signatures of
counsel below.
FOR PLAINTIFF UNITED STATES:
BILL LANN LEE
Acting Assistant Attorney General for Civil Rights
JOAN A. MAGAGNA
Chief
ISABELLE M. THABAULT
Deputy Chief
ERIC I. HALPERIN
Attorney
Housing and Civil Enforcement Section
Civil Rights Division
Department of Justice
P.O. Box 65998
Washington, D.C. 20035-5998
202-353-9706
DENISE E. O'DONNELL
United States Attorney
MARY PAT FLEMING
Civil Chief
138 Delaware Avenue
Buffalo, NY 14202
716-551-4811
FOR DEFENDANTS BANK UNITED & ERIKA STEINIGER:
R. SCOTT DAVIES
Briggs and Morgan
2400 IDS Center
80 South 8th Street
Minneapolis, MN 55402
ATTACHMENT 1
RELEASE
In consideration for the covenants and agreements made and reflected in a certain
Consent Decree entered in United States v. Bank United d/b/a Commonwealth United Mortgage
and Erika Steiniger, Civil Action No. 99-___ on , 1999, as well as in consideration of
the payments required to be made thereunder, I hereby release all claims that I and my children
Angela Douglas and Teresa Harris, may have against Bank United and Erika Steiniger, arising
out of, or related to my application for a mortgage loan with Bank United.
I further understand that this Release shall be binding upon my heirs, successors, family
members, and any and all persons acting in concert with me. I further understand that I am
releasing not only the claims which were raised in the aforementioned lawsuit, but all claims, of
any kind, nature or description whatsoever, whether they be in contract, tort, or otherwise, and
whether they were raised or could have been raised in the litigation referenced above, for any
actions or events that have occurred or that may have accrued up until the date of this Release.
I also acknowledge that I have had the opportunity to review the terms of this Release
with an attorney of my choosing, and, to the extent that I have not obtained that legal advice, I
voluntarily and knowingly waive my right to do so.
_______________________________
Gertrude Douglas for herself and as legal
guardian of Angela Douglas and Teresa
Harris
County of _______________________
State of New York
SUBSCRIBED and sworn to before
me this _______ day of ______, 1999.
__________________________________
Notary Public
My commission expires:
___________________________________
ATTACHMENT 2
Application Log
| Name |
Address |
Date of
Application |
Outcome |
Reason |
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