MBA Joint Trades Letter on Committee Markup of the American Privacy Rights Act
2024
Comment Letters
Commercial / Multifamily
Data Security and Privacy Laws
FHA Multifamily
Government Lending
Government Servicing
GSE Multifamily
Policy Issue
Residential
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Residential Mortgage Professionals
- Working For: Community Bank Professionals
- Working For: Credit Unions Professionals
- Working For: Independent Mortgage BankersĀ
- Working For: Accounting and Financial Management Professionals
- Working For: Loan Administration Professionals
- Working For: Loan Production Professionals
- Working For: Real Estate Law and Regulatory Compliance Professionals
- Working For: Secondary and Capital Markets Professionals
- Working For: Technology Professionals
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Commercial Real Estate Finance Professionals
- Working For: CREF Banks and Depositories
- Working For: CREF Life Companies
- Working For: CREF Private Credit
- Working For: CREF Structured Finance
- Working For: Agencies
- Working For: FHA Multifamily
- Working For: CREF Intermediaries
- Working For: CREF Servicers
- Working For: CREF Technology
- Working For: CREF Senior Executives
- Contact the MBA CREF Team
- State Licensing Resource
- Commercial and Multifamily Property Inspection Reports Reference Guide
- Vendor Marketplace
- mPower for Women
- mPact: MBA's Network for Young Professionals
- Opportunity & Engagement
- Disaster Recovery
- Technology Resource Center
- Compliance Resources
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MBA express concerns about the ambiguity of the Gramm-Leach Bliley Act (GLBA) exception provided in the American Privacy Rights Act (APRA) Discussion Draft and advocate for clear language that provide an exception for entities subject to the GLBA.
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