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Federal Advocacy
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Credit Union and Bank Mergers
Fintech
IRS Reporting Requirement
CECL
Regulatory Relief
CFPB Improvements
More »
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Congressional Testimony
Letters & Comments
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Proposed Regulation
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Board & Supervisory Committees
Compliance, Risk & BSA
Executive Leadership
Growth & Marketing
Operations
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Online Training
Search All Educational Resources
Compliance Assistance
Compliance Calendar
Compliance Guides & Manuals
Compliance Policy Sharing
Final Regulation Summaries
Newsletters & Blog
Ask Compliance
Search All Compliance Resources
Data & Tools
Featured Reports
Economic and CU Research Enewsletter
Macroeconomic Data Flash Reports
Salary Comparison Report
Credit Union Federal Tax Exemption Study
NAFCU Report on Credit Unions
CU Industry Trends Quarterly Report
More »
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Contribute Your Data
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December 28, 2017
Letter to NCUA on Proposed Rule – Capital Planning and Supervisory Stress Testing
Comment Letter
November 12, 2017
Letter on Tomorrow's House Financial Services Committee Mark-up
Policy Letter
November 01, 2017
Letter to NCUA on Recent Developments of Federal Banking Agencies
Comment Letter
August 31, 2017
Letter to NCUA on Corporate Credit Unions
Comment Letter
May 08, 2017
Letter to NCUA on ANPR on Alternative Capital
Comment Letter
July 11, 2016
Letter to NCUA on Reconsideration of RBC
Comment Letter
July 11, 2016
Letter to NCUA on Credit Union Capital
Comment Letter
October 05, 2015
Letter to NCUA on Supplemental Capital
Comment Letter
April 23, 2015
Letter to NCUA on its Risk-Based Capital Proposal
Comment Letter
February 23, 2015
Letter to NCUA on Risk Mitigation Plan
Comment Letter
December 17, 2014
Letter to NCUA on Risk-Based Capital
Comment Letter
September 29, 2014
Thank You Letter to NCUA Chairman Matz on second comment period for risk-based capital
Comment Letter
May 27, 2014
Letter to NCUA on Risk-Based Capital
Comment Letter
April 18, 2014
Joint Letter to NCUA from NAFCU and CUNA to extend comment period for Risk-Based Capital proposed rule
Comment Letter
February 28, 2014
Letter to NCUA requesting to extend comment period for Risk-Based Capital proposed rule
Comment Letter
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Filter Letters & Comments Filter Close
Letter to NCUA on Proposed Rule – Capital Planning and Supervisory Stress Testing
Comment Letter
Letter on Tomorrow's House Financial Services Committee Mark-up
Policy Letter
Letter to NCUA on Recent Developments of Federal Banking Agencies
Comment Letter
Letter to NCUA on Corporate Credit Unions
Comment Letter
Letter to NCUA on ANPR on Alternative Capital
Comment Letter
Letter to NCUA on Reconsideration of RBC
Comment Letter
Letter to NCUA on Credit Union Capital
Comment Letter
Letter to NCUA on Supplemental Capital
Comment Letter
Letter to NCUA on its Risk-Based Capital Proposal
Comment Letter
Letter to NCUA on Risk Mitigation Plan
Comment Letter
Letter to NCUA on Risk-Based Capital
Comment Letter
Thank You Letter to NCUA Chairman Matz on second comment period for risk-based capital
Comment Letter
Letter to NCUA on Risk-Based Capital
Comment Letter
Joint Letter to NCUA from NAFCU and CUNA to extend comment period for Risk-Based Capital proposed rule
Comment Letter
Letter to NCUA requesting to extend comment period for Risk-Based Capital proposed rule
Comment Letter