All Letters and Testimony
Refine Search
- Policy Issue (98)
- Government Lending (28)
- Consumer Financial Protection Bureau (CFPB) (18)
- Bank Regulatory Policy (15)
- Government Servicing (12)
- Secondary and Capital Markets (8)
- GSE Multifamily (7)
- Data Security and Privacy Laws (7)
- FHA Multifamily (6)
- Tax and Accounting (3)
- State and Local Issues (2)
-
MBA Letter to FHFA on FHLB RFI
July 15, 2024
-
MBA Letter to Treasury and HUD on its Concerns Regarding the Federal Financing Bank (FFB) Risk-Sharing Program
June 28, 2024
-
Written Statement of Jeffrey Weidell, Northmarq CEO, on U.S. House of Representatives House Committee on Oversight & Accountability Subcommittee on Health Care & Financial Services
April 30, 2024
-
MBA Letter to HFSC on One Resolution and Two Bills on Real Estate Finance
April 17, 2024
-
MBA Letter on House Financial Services Committee Housing Bills Markup
February 29, 2024
-
MBA Letter to Treasury on FSOC Concerns About Nonbank Mortgage Servicers
February 12, 2024
-
MBA Letter on H.R. 7024 Floor Vote
January 31, 2024
-
MBA Joint Comment Letter in Support of H.R. 7024, the “Tax Relief for American Families and Workers Act of 2024”
January 29, 2024
-
MBA Letter to Congressional Leaders on H.R. 3335, the IRS eIVES Modernization and Anti-Fraud Act of 2023
January 26, 2024
-
MBA Joint Comment Letter in Support of H.R. 7024, the “Tax Relief for American Families and Workers Act of 2024”
January 19, 2024
-
MBA Comment Letter in Support of H.R. 7024, the “Tax Relief for American Families and Workers Act of 2024”
January 19, 2024
-
MBA Joint Letter with CRE Trades on Basel III Endgame
January 16, 2024
-
MBA Joint Comment Letter on the Banking Agencies’ Basel III Endgame NPR (Impacts on CRT)
January 16, 2024
-
MBA Comment Letter on the Banking Agencies’ Basel III Endgame NPR
January 16, 2024
-
MBA President and CEO Bob Broeksmit, CMB Statement on Implementing Basel III
September 13, 2023
-
Basel III Bank Capital Proposal – MBA Summary
August 29, 2023
-
MBA Joint Trades Letter to FCC on Revocation of Consent Under TCPA
August 3, 2023
-
President and CEO Bob Broeksmit Letter to Banking Agency Leadership on MBA’s Opposition to Interagency Proposed Bank Capital Rule
July 26, 2023
-
MBA Joint Letter to Banking Agencies on Proposed Capital Rules
July 24, 2023
-
MBA Letter to Financial Stability Oversight Council (FSOC) on Proposed SIFI Designation Guidance
July 17, 2023
-
MBA Letter to FTC on Data Privacy and Protection ANPR
July 13, 2023
-
MBA Joint Comment Letter on CFPB’s Statement of Policy Regarding Prohibition on Abusive Acts or Practices
July 3, 2023
-
Coalition Letter to FSOC on the Analytic Framework and Nonbank Guidance Proposals
May 23, 2023
-
MBA Comment Letter to CSBS's Nationwide Multistate Licensing System Mortgage Business Specific Requirements Proposal
May 15, 2023
-
MBA Letter to the House Financial Services Committee on the ANS to H.R. 2798, the CFPB Transparency and Accountability Reform Act
April 26, 2023
-
MBA Letter on T-HUD appropriations bill for Fiscal Year (FY) 2024
April 13, 2023
-
Real Estate Coalition Letter on Debt Ceiling
March 29, 2023
-
Coalition Letter to Congress on the FTC's Proposed Rule on Non-Compete Agreements
February 28, 2023
-
Joint Trade Deadline Extension Request for SEC Conflicts of Interest Rule Final
February 17, 2023
-
Joint Trades Comment Letter on FTC Proposed Rule to Combat Impersonation
December 19, 2022
-
Joint Trade Letter on Possible Federal Tenant Protections
December 16, 2022
-
MBA Comments: FHLBank System at 100: Focusing on the Future – Request for Input
November 2, 2022
-
Warehouse Lending Fact Sheet
March 14, 2022
-
Joint Letter to House Financial Services Committee on Potential LIBOR Legislation
April 14, 2021
-
MBA Letter to Federal Reserve on CRA
February 16, 2021
-
Joint Letter to New York Legislature on LIBOR Changes
February 2, 2021
-
MBA Letter to Senate Banking Committee on Nomination of Marcia Fudge
January 28, 2021
-
Joint Letter to OCC on Request to Rescind CRA Benchmarking Data Collection
January 11, 2021
-
MBA Letter to CFPB on RFI on ECOA
December 1, 2020
-
MBA Letter to FCC on TRACED Act
September 29, 2020
-
MBA Letter to FDIC on RFI on Standard Setting and Voluntary Certification for Models and Third-Party Providers of Technology and Other Services
September 22, 2020
-
MBA Letter to OCC on Proposed True Lender Rule
September 3, 2020
-
Joint Letter to FCC on TRACED Act
August 31, 2020
-
MBA Letter to FHFA and the GSEs on Adverse Market Fee and Early Payment Forbearance Purchases
August 14, 2020
-
Joint Letter to CFPB on RFI on ECOA
August 10, 2020
-
MBA Letter to HUD on Disparate Impact
July 16, 2020
-
Joint Letter to FCC on TRACED Act
July 2, 2020
-
MBA Letter to CFPB on RFI: Assist the Taskforce on Federal Consumer Financial Law
June 1, 2020
-
Joint Letter to FCC on TCPA
May 21, 2020
-
MBA Letter to FCC on Implementation of TRACED Act-Knowledge of Customers by Entities with Access to Numbering Resources
May 15, 2020
-
MBA Letter to OCC and FDIC on Joint Notice of Proposed Rulemaking on CRA Regulations
April 8, 2020
-
MBA Letter to the Federal Banking Agencies on Support Bank Efforts to Help Real Estate Finance Activities Through Reduced Risk Weighting on Warehouse Loans
April 1, 2020
-
MBA Letter to SEC and FINRA on Mortgage Industry Concerns Regarding Broker-Dealer Margin Calls on TBA Hedge Positions
March 29, 2020
-
MBA Letter to OMB on RFI on Improving and/or Reforming Regulatory Enforcement and Adjudication
March 16, 2020
-
Joint Letter to FCC on TCPA
February 5, 2020
-
MBA Letter to HUD on White House Council on Eliminating Regulatory Barriers to Affordable Housing
January 31, 2020
-
Joint Letter to the Federal Banking Agencies on QRM Review - Credit Risk Retention
January 30, 2020
-
MBA Letter to NCUA on Real Estate Appraisals
January 28, 2020
-
Joint Letter to CFPB on Regarding the Integrated Mortgage Disclosures under RESPA and TILA
January 21, 2020
-
MBA Letter to CFPB on RFI Regarding the Integrated Mortgage Disclosures under RESPA and TILA
January 21, 2020
-
MBA Letter to FHFA on Enterprise UMBS Pooling Practices
January 21, 2020
-
Joint Letter to FHFA on RFI on Enterprise Pooling Practices
January 21, 2020
-
Joint Letter to the Banking Agencies on CRA Modernization
September 9, 2019
-
MBA Letter to the Banking Agencies on Permit Early Adoption of Final Capital Rule Pursuant to the Economic Growth and Regulatory Paperwork Reduction Act of 1996
July 25, 2019
-
Joint Letter to FHA on Proposed FHA Lender Annual Certification Statements
June 7, 2019
-
MBA Letter to FHFA on Request for Delay in Implementation of the Revised URLA
May 29, 2019
-
Joint Letter on the Carried Interest Fairness Act (H.R. 1735)
March 26, 2019
-
MBA Letter to the Banking Agencies on Real Estate Appraisals
February 5, 2019
-
MBA Letter to Senate Leadership on Nomination of Cheryl Stanton to Serve as Wage and Hour Administrator
February 2, 2019
-
Joint Letter on Update and Request for Meeting on Finalization of Proposed Simplifications to the Capital Rule Proposal Pursuant to the Economic Growth and Regulatory Paperwork Reduction Act of 1996
December 18, 2018
-
MBA Letter to FCC on TCPA Rulemaking, CG Docket No. 18-152
October 24, 2018
-
MBA Letter to HUD on FR-6111-A-01 Reconsideration of HUD's Implementation of the Fair Housing Act's Disparate Impact Standard
August 20, 2018
-
Joint Letter to HUD on FR-6111-A-01 Reconsideration of HUD's Implementation of the Fair Housing Act's Disparate Impact Standard
August 20, 2018
-
MBA Letter to BCFP on RFI Regarding Bureau Guidance and Implementation Support
July 2, 2018
-
MBA Letter to FCC on TCPA Rulemaking
June 27, 2018
-
MBA Letter to BCFP on RFI Regarding the Bureau's Inherited Regulations and Inherited Rulemaking Authorities
June 25, 2018
-
MBA Letter to BCFP on RFI Regarding the Bureau's Adopted Regulations and New Rulemaking Authorities
June 19, 2018
-
Joint Letter to Representatives Duffy and Perlmutter on GUIDE Act H.R. 5534
June 11, 2018
-
MBA Letter to FHFA on Regulatory Review
June 4, 2018
-
MBA Letter to Treasury on FinTech Regulation of Non-Depository Institutions
March 26, 2018
-
MBA Letter to Senate Leadership Expressing Support for Economic Growth, Regulatory Relief, and Consumer Protection Act (S. 2155)
March 9, 2018
-
MBA Letter to House and Senate, Treasury, and White House Leadership on Tax Reform
October 12, 2017
-
MBA Letter to CFPB on Home Mortgage Disclosure (Regulation C) Proposal
July 31, 2017
-
MBA Letter to CFPB on RESPA Assessment
July 10, 2017
-
MBA Letter to CFPB on Technical Corrections and Clarifying Amendments to the Home Mortgage Disclosure (Regulation C) October 2015 Final Rule
May 25, 2017
-
MBA Letter to Treasury on President Trump's Executive Order, Core Principles for Regulating the US Financial System
April 10, 2017
-
MBA Letter to Senate Leadership on Mnuchin Confirmation
January 17, 2017
-
MBA Letter to FHA on FR-5715-P-01 Project Approval for Single-Family Condominiums
November 28, 2016
-
MBA Letter to FTC on Holder Rule
February 12, 2016
-
Joint Letter to House Financial Services Committee on Congress Blocking FHFA's Proposed FHLB Rule
September 24, 2015
-
MBA Fact Sheet: Federal Inter-Agency Standards for Diversity and InclusionPolicies and Practices
June 10, 2015
-
MBA Letter to CFPB on Increasing Access to Credit for all Qualified Borrowers
March 30, 2015
-
Joint Letter to PCAOB on Staff Consultation Letter on Fair Value Measurements
November 3, 2014
-
Joint Letter to CFPB on HMDA Proposed Amendments
October 29, 2014
-
MBA Letter to CFPB on Multifamily Aspects of HMDA Proposal
October 29, 2014
-
Joint Letter to IASB on Proposed Dynamic Hedge Accounting Rule
October 15, 2014
-
Joint Letter to the Agencies, CFPB, FHFA, and NCUA on Proposed AMC Rule Implications
June 9, 2014
-
MBA Letter to OCC on Consequences of Shining a Light on the Consumer Debt Industry Statement
January 22, 2014