Consumer Financial Protection Bureau (CFPB) Origination Issues
Share to
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
-
Joint Letter to CFPB on HMDA Proposed Amendments
-
MBA Letter to CFPB on Complaints Database Proposal
-
Joint Letter to CFPB on RESPA-TILA Implementation Guidance
-
MBA Letter to CFPB on Proposed Changes to Annual Privacy Notice Requirement
-
MBA Letter to CFPB on DTI Cure and Correction Procedures for ATR/QM
-
Joint Letter to the Agencies, CFPB, FHFA, and NCUA on Proposed AMC Rule Implications
-
MBA Testimony to House Financial Services Committee on QM Rul
Related MBA Events
-
Rethink Everything: You “Know” To Be A Next Gen Loan Officer – A Deeper Dive With the Writers & Experts Webinar Series: Mindset
-
School of Mortgage Banking I: July 2024: Washington D.C.
-
School of Mortgage Banking II: July 2024: Washington D.C.
-
Adding Reverse Mortgages to Your Business Line: The Roadmap
-
FHA Section 232 Underwriter Virtual Training Program: 2024
-
Rethink Everything: You “Know” To Be A Next Gen Loan Officer – A Deeper Dive With the Writers & Experts Webinar Series: Advocacy
-
School of Mortgage Banking I: August 2024: Online
-
Commercial Real Estate Basics: Underwriting Retail and Valuation: August 2024
-
School of Multifamily Mortgage Banking: August 2024: Washington D.C.
-
What Value Will AI Bring to the Mortgage Industry?
- 1
- 2 (current)
- 3
- 4
- 5