Client Alerts / Articles

Financial Regulatory Reform Legislation Proceeds through Congress (5/22/2018)

HUD to Reconsider Disparate Impact Rule (5/17/2018)

CFPB Issues RFI on Guidance and Implementation Support (3/30/2018)

CFPB Issues RFI on Inherited Regulations (3/26/2018)

CFPB Requests Feedback on Adopted Regulations (3/23/2018)

Senate Passes Financial Regulatory Reform Bill (3/16/2018)

CFPB Requests Feedback on Rulemaking Process (3/8/2018)

CFPB Requests Feedback on Public Reporting of Consumer Complaints (3/5/2018)

CFPB Requests Information on Supervision Processes (2/20/2018)

CFPB’s Third Request for Information Broadly Seeks Feedback on Enforcement (2/8/2018)

CFPB Starts Review of Administrative Adjudications (2/2/2018)

PHH v. CFPB: Beyond the Headlines, A Big Win For Industry (2/1/2018)

With CID Request, CFPB Follows Through on Plan to Review Functions (2/1/2018)

CFPB Announces Review of Agency’s Functions (1/18/2018)

Department of Defense Publishes Amends and Adds Further Guidance on Military Lending Act Regulations (12/18/2017)

Joint and Several Liability for Payment Processor That Facilitated Fraud (12/15/2017)

CFPB Outlines Principles for Consumer-Authorized Financial Data Sharing and Aggregation (10/19/2017)

CFPB Releases Final Payday Lending Rule (10/6/2017)

OCC Acting Comptroller Woos Fintech Companies with Remarks on Online Lending (9/27/2017)

Leading on Leads? CFPB Takes Action Against Online Lead Aggregators (9/21/2017)

CFPB Makes HMDA Data Sharing Proposal (9/21/2017)

A First Time for Everything—CFPB Issues Its First No-Action Letter (9/20/2017)

CFPB and Card Issuers Resolve ECOA Action Involving Cards Offered in U.S. Territories and Cardholders with Spanish Language Preference (8/31/2017)

CFPB Case Against Payment Processors Dismissed: Court Sanctions Bureau for Non-Responsive Discovery (8/30/2017)

Entering the HMDA Homestretch: CFPB Proposes Temporary Increase in HELOC Reporting Threshold, Releases New and Updated Filing Resources (7/27/2017)

The CFPB Issues Its Final Arbitration Rule (7/17/2017)

OCC Releases Semiannual Risk Perspective: Fintech is Risky? (7/11/2017)

OCC Guidance Suggests Flexibility for Third-Party Risk Management (6/12/2017)

U.S. House of Representatives Passes the Financial CHOICE Act of 2017 (6/9/2017)

FDIC Action Is a Reminder that Bank Partnerships Are Not a Panacea for Non-Banks (5/19/2017)

CFPB Files Suit Challenging Tribal-Affiliated Lenders Using its UDAAP Authority (5/2/2017)

House Financial Services Committee Holds Hearing on the Financial CHOICE Act of 2017 (4/27/2017)

New York Cybersecurity Regulations: What Do They Mean and When Do They Mean it By? (3/23/2017)

Court Finds CFPB Case Against Payment Processor Lacking (3/20/2017)

Is it Time to Streamline Financial Regulation? (3/16/2017)

The Madden Saga Continues: On Remand, Madden Survives Summary Judgment and District Court Certifies Class (3/6/2017)

RESPA Two-Step: CFPB Shows Continued Expansive Interpretation of Section (3/3/2017)

Ten Questions and Nine Answers about PHH and the Future of the CFPB Director (12/5/2016)

Whither the CFPB? In Uncertain Times, Rep. Hensarling’s Vision May See New Life (11/21/2016)

CFPB Hit by Major Setback in D.C. Circuit (10/13/2016)

CFPB Relies on “Mystery Shoppers” in BancorpSouth Mortgage Discrimination Settlement (8/3/2016)

CFPB Publishes No-Action Letter Policy Statement (2/23/2016)

CFPB Argues Statute of Limitations Not Applicable in Certain UDAAP Actions (2/1/2016)

CFPB Brings Long-Anticipated First Redlining Enforcement Action – New Approach to Redlining Analysis Is Put into Action (9/29/2015)

The CFPB & UDAAP: A "Know It When You See It" Standard? 2015 Mid-Year Update (7/29/2015)

Disparate Impact Doctrine Survives Supreme Court Review (6/26/2015)

CFPB Enforcement Actions Take on LO Comp and Fair Lending (6/9/2015)

CFPB Ups the Ante in RESPA Crackdowns (5/1/2015)

CFPB Keeps its Sights on Military Mortgage Ads (4/10/2015)

When Is “Payment Authorization” the Same as a “Payment”? Seventh Circuit Weighs In (3/25/2015)

Bad Day for NewDay: CFPB Section 8 Enforcement Continues (2/19/2015)

The CFPB 2015 Forecast: Continued Cloudiness, Thunderstorms Likely (1/23/2015)

Crack Down on Alleged Maternity Leave Discrimination Continues (10/17/2014)

FTC Targeting Deceptive Advertising of Mortgage Lead Generators (10/13/2014)

CFPB as HUD: Another Section 8 Consent Order Displays CFPB’s RESPA Approach (10/1/2014)

MBA's Regulatory Compliance Conference 2014 (CFPB Enforcement) (9/28/2014)

MBA's Regulatory Compliance Conference 2014 (Compliance Essentials) (9/29/2014)

MBA's Regulatory Compliance Conference 2014 (CFPB Exams What to Know) (9/29/2014)

The CFPB Examination Resource Guide (Fall 2014)

No RESPA Respite - Continued (8/18/2014)

The CFPB's Most Recent Consent Order: Defining "Abusive" Acts and Practices Through Enforcement (7/15/2014)

The CFPB & UDAAP: A “Know It When You See It” Standard? (6/9/2014)

The CFPB Targets Mortgage Reinsurance Yet Again (2/4/2014)

Interagency Fair Lending Guidance: A First Step, but in the Right Direction? (10/28/2013)

CFPB Reaches Consent Orders for HMDA Violations (10/15/2013)

Supreme Court takes up landmark disparate impact case. Again. (9/17/2013)

How to Be a Good Corporate Citizen CFPB Style (7/3/2013)

Supreme Court Takes Up Landmark Disparate Impact Case, Again, Over U.S. Objections (6/19/2013)

Email Disclaimer

Unsolicited e-mails and information sent to Morrison & Foerster will not be considered confidential, may be disclosed to others pursuant to our Privacy Policy, may not receive a response, and do not create an attorney-client relationship with Morrison & Foerster. If you are not already a client of Morrison & Foerster, do not include any confidential information in this message. Also, please note that our attorneys do not seek to practice law in any jurisdiction in which they are not properly authorized to do so.

©1996-2018 Morrison & Foerster LLP. All rights reserved.