Differences Between Approaches
Monthly payments. The current U.S. cap of 10% (per the 2014 REPAYE plan) is relatively consistent with the U.K.’s 9% repayment rate (for undergraduate debt). It’s also consistent with Australia’s variable cap: An Australian borrower earning that country’s median wage for college graduates (AU$72,800) would face a 4.5% repayment rate, but this is applied to the borrower’s full income, not just discretionary income, resulting in a larger monthly payment. The Biden proposal to reduce the U.S. payment cap to 5% would make monthly payments for U.S. borrowers more affordable than the payments borrowers would make in the U.K. and Australian programs.
Forgiveness. Under the administration’s proposed changes, loans would be forgiven after 10 years for low-balance undergraduate borrowers, after 20 years for other undergraduate borrowers, and after 25 years for graduate school borrowers. This is more generous than the U.K. program, which recently lengthened its forgiveness period from 30 to 40 years, as well as the Australian program, which doesn’t offer any time-based forgiveness.
Interest rate. The proposed U.S. loan program offers more generous interest rates than the programs in the other two countries. The interest rate on U.S. loans is currently 4.99% for U.S. federal direct undergraduate loans, which is lower than the UK’s rates of 6.3% to 7.3% (depending on the year and the type of loan). Australia adjusts loan balances each year based on current inflation levels (effectively a variable interest rate), and with inflation at just under 8% in Australia, the resulting interest rate is significantly higher than the U.S. interest rate. It should be noted, however, that both the United States and the U.K. have temporarily instituted a zero percent interest rate due to the COVID-19 emergency.
Growing balances. In both the U.K. and Australian programs, loan balances may grow over time if borrowers don’t pay the interest. The current U.S. program also often results in balance increases due to unpaid interest (more than half of U.S. student loans have a current balance that exceeds the original balance, including three-quarters of the loans held by Black borrowers), however the Biden reforms would prevent unpaid interest from being added to loan balances.
Administration. U.S. borrowers must manually enroll in an IDR plan and manually submit their payments each month, interfacing with one of a handful of private servicing companies rather than a single government entity. This creates significant administrative burdens for borrowers—and ample opportunity for mistakes, for which the system is often unforgiving. In contrast, the U.K. and Australian programs collect student loan payments through employer withholding and tax systems, creating a much easier and more automatic process for borrowers. The Biden proposal would automatically enroll borrowers in REPAYE if they are delinquent for 75 days. Even with this change, the U.S. program will continue to put more administrative burden on borrowers than the U.K. and Australian programs.
Generosity. Under the Australian program, just under 80% of outstanding debt is projected to be fully repaid, with the unpaid amounts largely attributable to borrowers who either had low lifetime earnings or left the country. Similarly, under the U.K.’s new repayment program, it’s estimated that 55% of new borrowers currently repay their loans in full, and that figure is projected to rise to 70% over time. Notably, prior to the recent changes to the U.K. system, only 20% of full-time students were projected to repay their loans in full.
The level of generosity of the current U.S. REPAYE plan appears to be similar to that of the U.K. and Australian programs, with many borrowers repaying at least as much as they borrowed. However, Biden’s proposed changes would result in the vast majority of borrowers receiving at least some loan forgiveness, making the U.S. program far more generous than the other countries’ programs, and closer to the old version of the U.K. system than the current one.
Income Contingency: Biden’s proposal would also move the U.S. loan system away from the traditional loan model, where borrowers are expected to repay the amount they borrowed plus interest, and toward an income-contingent or income share agreement (ISA) approach, in which borrowers pay a certain portion of their income over a set period of time. While the U.K. and Australian programs have long been held up as examples of implementations of the income contingency approach, they’re now more rooted in the traditional loan model than the U.S. program is: Both the U.K. and Australian systems allow balances to rise due to interest capitalization, and Australia doesn’t forgive debt after a set period of time.