October 9, 2012 — Comments

The National Consumer Law Center submitted the following comments on behalf of its low-income clients, as well as National Association of Consumer Advocates. These comments deal exclusively with the proposed changes to Regulation X (under the Real Estate Settlement Procedures Act “RESPA”) in the CFPB’s servicing proposal. Separately, they supply comments on the proposed changes to Regulation Z (under the Truth in Lending Act, “TILA”).