TopMortgage Compliance Update (1)
 

November 7, 2012  

 


CFPB: Mortgage Originator Violations


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Greetings! 

Yesterday, I outlined for you the features of the CFPB's requisites of a Compliance Management System (CMS). My observations were based on the CFPB's newsletter, entitled Supervisory Highlights: Fall 2012, an issuance to the public and the financial services industry about its examination program, including the concerns that it finds during the course of its completed work, and the remedies that it has obtained for consumers who have suffered financial or other harm.

There are other important areas covered in the newsletter that I would now like to briefly discuss: 

Violations relating to Credit Reporting, and

Violations by Mortgage Originators

Fair Lending Compliance

These subjects are very nuanced and complex, involving many aspects of regulatory compliance mandates. Necessarily, my remarks will be limited to the kinds of observations that the CFPB has indicated as principal concerns with respect to these matters.
 
Jonathan Foxx
President & Managing Director
Lenders Compliance Group
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IN THIS ARTICLE
Violations relating to Credit Reporting
Violations by Mortgage Originators
Fair Lending Compliance
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Consumer Financial Protection Bureau

Supervisory Highlights: Fall 2012
Executive Summary
10/31/12

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This communication is sent to our valued clients and colleagues, who regularly receive our Mortgage Compliance Updates, Compliance Alerts, Commentaries, and related publications.

These publications are free to subscribers. Information contained herein is not intended to be and is not a source of legal advice.

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