Dodd Frank Comments and Testimony
Comments
- Comments to the CFPB re: Truth in Lending Act – Regulation Z, Loan Originator Compensation Requirements and Prohibition on Financing Credit Insurance Premiums, May 24, 2013.
- Comments to CFPB on Truth in Lending Act – Regulation Z: Ability to Repay Standards under the Truth-in-Lending Act, Feb. 25, 2013
- Comments on collection of Home Mortgage Disclosure Act (HMDA) data, Nov. 26, 2012
- Integrated Mortgage Disclosures under the Real Estate Settlement Procedures Act, November 6, 2012 Short Group Comments
- Comments on High-Cost Mortgage Amendments to the Truth in Lending Act (Regulation Z), November 6, 2012
- Comments to the CFPB regarding Truth in Lending Act – Regulation Z: Loan Originator Compensation, Oct. 16, 2012
- Comments of the National Consumer Law Center and the National Association of Consumer Advocates on Truth in Lending (Regulation Z: Supplemental Comments on Ability-to-Pay and Qualified Mortgages, July 9, 2012
- Comments on the Consumer Financial Protection Bureau's Interim Final Rule on the preemption rules under the Alternative Mortgage Transaction Parity Act, September 22, 2011
- NCLC-CRL Comments Regarding Ability to Pay and Qualified Mortgages, July 22, 2011
- Comments on Credit Risk Retention by National Consumer Law Center and National Association of Consumer Advocates to the U.S. Department of Treasury, August 1, 2011
- Comments to the Federal Reserve Board re: Truth in Lending Act proposed rule on mandatory escrow accounts for higher-priced mortgage loans and other topics - [Docket R-1406, 76 Fed. Reg. 11,598], May 2, 2011
Testimony