Consumer Financial Protection Bureau (CFPB) Origination Issues
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The CFPB administers and enforces the most significant rules governing the mortgage market. It is charged both with regulating the consumer financial legal landscape and promoting consumer financial opportunities. MBA supports both of the Bureau’s
statutory mandates and advocates for improvements and clarifying interpretations on the QM rule, the Loan Originator compensation rule, RESPA servicing rule, TRID, ECOA, and the other key statutes under the Bureau’s authority. We also work to ensure
that the Bureau lays out clear rules of the road to follow rather than try to use enforcement actions to outline industry responsibilities.
Recent MBA Activity Related to Consumer Financial Protection Bureau (CFPB) Issues
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MBA Letter to HUD on Loss Mitigation Options for Single Family Borrowers Affected by the Presidentially-Declared COVID-19 National Emergency in Accordance with the CARES Act
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Joint Letter to the Federal Banking Agencies on QRM Review - Credit Risk Retention
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MBA Letter to House Financial Services on the CREDIT Act
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Joint Letter to CFPB on Regarding the Integrated Mortgage Disclosures under RESPA and TILA
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MBA Letter to CFPB on RFI Regarding the Integrated Mortgage Disclosures under RESPA and TILA
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MBA Letter to BCFP on RFI Regarding Tech Sprints
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MBA Letter to HUD on FR-6111-P-02 HUD's Implementation of the Fair Housing Act's Disparate Impact Standard
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Joint Letter to CFPB on QM Definition Under TILA
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MBA Letter to CFPB on QM Definition Under TILA
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Joint Letter to CFPB on Response to ANPR on the QM Definition
Related MBA Events
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School of Loan Origination: March 2027
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Office Underwriting and Investment Analysis: March 2027
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Multifamily Underwriting and Investment Analysis: April 2027
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AI in Residential Lending: Your Data is Broken – The Prerequisite to AI
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AI in Residential Lending: Hyper-Personalization Marketing
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AI in Residential Lending: The 2027 Roadmap – Agentic AI Workflows

