MBA Letter to Senate Banking Committee on Brian Johnson Nomination as CFPB Director
2026
Comment Letters
Commercial / Multifamily
Consumer Financial Protection Bureau (CFPB)
Policy Issue
Residential
-
Residential Mortgage Professionals
- Working For: Community Bank Professionals
- Working For: Credit Unions Professionals
- Working For: Independent Mortgage Bankers
- 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
-
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
- Working For: Affordable Housing
- Vendor Marketplace
- mPower for Women
- mPact: MBA's Network for Young Professionals
- Opportunity & Engagement
- Disaster Recovery
- Technology Resource Center
- Compliance Resources
Share to
MBA express the real estate finance industry’s strong support for President Trump’s nomination of Brian Johnson to be Director of the Consumer Financial Protection Bureau (CFPB). MBA appreciates the Senate Banking Committee’s scheduling of this week’s nominations hearing that will allow for examination of Mr. Johnson’s credentials to serve as the agency’s Director.
.