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Federal Advocacy
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Fintech
CECL
Regulatory Relief
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Congressional Testimony
Letters & Comments
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Proposed Regulation
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Board & Supervisory Committees
Compliance, Risk & BSA
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Growth & Marketing
Operations
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Online Training
Search All Educational Resources
Compliance Assistance
Compliance Hot Topics
Compliance Calendar
Compliance Guides & Manuals
Compliance Policy Sharing
Final Regulation Summaries
Newsletters & Blog
Ask NAFCU Compliance
Search All Compliance Resources
Data & Tools
Featured Reports
Economic and CU Research Enewsletter
Macroeconomic Data Flash Reports
Salary Comparison Report
Share Insurance Fund Analysis
Credit Union Federal Tax Exemption Study
CECL Study: Alternatives, Impacts, Accuracy, and Complexity
More »
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Financial CalCUlators
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Contribute Your Data
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April 02, 2021
Comment Letter to CFPB on Qualified Mortgage Definition Under the Truth in Lending Act
Comment Letter
March 24, 2021
Letter to CFPB on Larger Participant Fintech Supervision
Policy Letter
December 30, 2020
Comment Letter to CFPB on Role of Supervisory Guidance
Comment Letter
December 14, 2020
Comment Letter to CFPB on 1071 Outline of Proposals
Comment Letter
December 01, 2020
Letter to CFPB on Regulation B and ECOA
Policy Letter
October 27, 2020
Letter to CFPB on CARD Act Review and Credit Market RF
Comment Letter
September 30, 2020
Letter to CFPB on Qualified Mortgage Definition Under the Truth in Lending Act (Regulation Z)
Comment Letter
September 04, 2020
Letter to CFPB on Qualified Mortgage Definition Under the Truth in Lending Act
Comment Letter
August 20, 2020
Comment Letter to CFPB on Proposed AO Program
Comment Letter
August 13, 2020
Letter to CFPB on RESPA and Regulation X
Comment Letter
August 10, 2020
Final Comment Letter to CFPB on QM Extension
Comment Letter
August 04, 2020
Letter to CFPB on LIBOR Transition
Comment Letter
August 03, 2020
Letter to CFPB on Debt Collection Practices Supplemental Rule (Regulation F)
Comment Letter
July 29, 2020
Letter to House Financial Services on CFPB Semi-Annual Review
Policy Letter
July 29, 2020
Letter to NCUA on Mid-Session Budget
Comment Letter
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Comment Letter to CFPB on Qualified Mortgage Definition Under the Truth in Lending Act
Comment Letter
Letter to CFPB on Larger Participant Fintech Supervision
Policy Letter
Comment Letter to CFPB on Role of Supervisory Guidance
Comment Letter
Comment Letter to CFPB on 1071 Outline of Proposals
Comment Letter
Letter to CFPB on Regulation B and ECOA
Policy Letter
Letter to CFPB on CARD Act Review and Credit Market RF
Comment Letter
Letter to CFPB on Qualified Mortgage Definition Under the Truth in Lending Act (Regulation Z)
Comment Letter
Letter to CFPB on Qualified Mortgage Definition Under the Truth in Lending Act
Comment Letter
Comment Letter to CFPB on Proposed AO Program
Comment Letter
Letter to CFPB on RESPA and Regulation X
Comment Letter
Final Comment Letter to CFPB on QM Extension
Comment Letter
Letter to CFPB on LIBOR Transition
Comment Letter
Letter to CFPB on Debt Collection Practices Supplemental Rule (Regulation F)
Comment Letter
Letter to House Financial Services on CFPB Semi-Annual Review
Policy Letter
Letter to NCUA on Mid-Session Budget
Comment Letter