In its first No-Action Letter under the new revised policy, the CFPB addresses a long-standing issue under the Real Estate Settlement Procedures Act regarding certain payment arrangements between mortgage lenders and housing...more
9/19/2019
/ Compensation ,
Consumer Financial Products ,
Consumer Financial Protection Bureau (CFPB) ,
Financial Services Industry ,
Housing Counseling Agencies ,
HUD ,
Mortgage Lenders ,
Mortgages ,
No-Action Letters ,
Payment Terms ,
Policies and Procedures ,
RESPA