Jonathan Lloyd

Jonathan Lloyd

Davis Wright Tremaine LLP

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Latest Publications


CFPB Proposes No-Action Letter Policy for Innovative Products

The Consumer Financial Protection Bureau has proposed a no-action letter policy under which the agency would issue letters stating that its staff “has no present intention to recommend initiation of an enforcement or...more

10/27/2014 - CFPB Compliance Enforcement Financial Products No-Action Letters UDAAP

“Responsible Conduct” by Enforcement Targets May Justify Favorable Treatment

Earlier this week, the Consumer Financial Protection Bureau (CFPB) issued CFPB Bulletin 2013-06 (the Bulletin), entitled Responsible Business Conduct: Self-Policing, Self-Reporting, Remediation, and Cooperation....more

6/28/2013 - CFPB Enforcement Actions Remediation Responsible Business Conduct Self-Policing Self-Reporting

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