Consumer Financial Protection Bureau (CFPB) Servicing Issues
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The CFPB's Mortgage Servicing Rules helped to standardize mortgage servicing practices and provide important consumer protections. MBA consistently advocates for clarity in guidance for its members so that they can provide consistent, equitable service to all consumers. Providing clear, unambiguous rules for mortgage servicers and recognizing the important and unique relationship between servicers and their customers is critical to ensure a fair and efficient system.
Recent MBA Activity Related to Consumer Financial Protection Bureau (CFPB) Issues
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MBA Joint Trades Letter to Treasury on FSOC Non-bank Guidance
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MBA Letter to CFPB on Protections for Borrowers Affected by the COVID-19 Emergency Under RESPA (Reg X)
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MBA Letter to CFPB on Rescission of Nonbank Registry Rule Final Rule
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MBA Comment Letter to CFPB on Regulation V
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MBA Letter to Senate Banking Committee on CFPB Director Nominee Jonathan McKernan
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MBA Joint Letter to Senate Banking Committee on CFPB Nominee Jonathan McKernan
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MBA Joint Letter to Senate Banking Committee on FHFA Nominee Bill Pulte
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MBA Letter to CFPB on Non-Bank Consent Order Registry
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MBA Letter to the CFPB on the CFPB’s Regulation X
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MBA Joint Letter on the CFPB’s NPRM on Regulation X
Related MBA Events
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Introduction to Mortgage Banking: January 2026: On Demand
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School of Mortgage Banking I: January 2026: Online
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External CMF Benchmarking Requirements
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MBA State and Federal Advocacy Webinar & Fly-In Series: Part II
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1099 vs. W-2: Avoiding Costly Compliance Mistakes
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School of Mortgage Banking II: February 2026: Online
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Internal CMF Benchmarking Requirements
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School of Multifamily Property Inspections: February 2026: Washington, DC
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Introduction to Mortgage Banking: March 2026: On Demand
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School of Mortgage Servicing: March 2026
