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Comments to the CFPB regarding Truth in Lending Act – Regulation Z: Loan Originator Compensation, Oct. 16, 2012
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Comments to the Federal Trade Commission regarding Advance Notice of Proposed Rulemaking: Mortgage Acts and Practices Rulemaking, July 31, 2009
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Comments of the NCLC and NACA Regarding Advance Notice of Proposed Rulemaking Relating to Unfair or Deceptive Acts or Practices, November 2007
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Comments Regarding the Proposed Illustrations of Consumer Information for Subprime Mortgage Lending, October 2007
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Comments to the Board of Governors of the Federal Reserve System regarding the Board's Authority under HOEPA to Prohibit Unfair Acts or Practices in Connection with Mortgage Lending, August 2007
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Comments to the Office of the Comptroller of the Currency to Federal Banking Regulators regarding Proposed Statement on Subprime Mortgage Lending, May 2007
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Comments to Federal Bank Regulators on Proposed Illustrations Regarding Non-Traditional Mortgages, November 2006
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Comments to the Federal Reserve Board regarding Home Equity Lending Market, August 2006
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Comments to the federal banking regulators regarding nontraditional mortgages, March 2006
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Comments to the Massachusetts Division of Banks regarding 209 CMR §§ 32.32, 34, 40: Predatory Home Loan Practices, March 2005
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Comments on Community Reinvestment Act Regulations, April 2003
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Comments to the Federal Reserve Board regarding Proposed Changes to HOEPA, March 2001
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Comments to the FDIC on Predatory Mortgages, January 2001
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Comments to the Federal Reserve Board on Its Authority to Expand Protections Against Predatory Lending and HOEPA, August 2000
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Comments regarding the Advance Notice of Proposed Rulemaking re: whether and how OTS should amend its regulations under the Alternative Mortgage Transactions Parity Act, July 2000
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Comments: NCLC's Proposal for Predatory Mortgage Reform, February 2000
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Comments to Senate Special Committee on Aging on Predatory Lending, April 1998