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Federal Advocacy
Top Issues
Credit Union and Bank Mergers
Fintech
IRS Reporting Requirement
CECL
Regulatory Relief
CFPB Improvements
More »
2024 Policy Priorities
Congressional Testimony
Letters & Comments
NAFCU/PAC
Proposed Regulation
Grassroots Action Center
Credit Union Policy Podcast
Education & Certification
By Role
Board & Supervisory Committees
Compliance, Risk & BSA
Executive Leadership
Growth & Marketing
Operations
Certifications and Training Certificates
Conferences
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 »
Benchmark & Research Tools
Financial CalCUlators
Data Sources
Contribute Your Data
Preferred Partners
Solutions
Insurance
Rewards Program
Technology
Vendor Management
Lending
Retirement & Financial Planning
More »
Partner Directory
In the News
Become a Preferred Partner
NAFCU Services Blog
About NAFCU Services
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June 05, 2015
Letter to NCUA on Usury Cap
Comment Letter
May 26, 2015
Letter to CFPB on Compliment Database
Comment Letter
May 18, 2015
Letter to CFPB on Credit Card Market Review
Comment Letter
May 13, 2015
Letter to NCUA on Field-of-Membership (FOM) Recommendations
Comment Letter
May 04, 2015
Letter to NCUA on Small Entity Definition
Comment Letter
April 29, 2015
Letter to NCUA on its Fixed Asset Proposal
Comment Letter
April 23, 2015
Letter to NCUA on its Risk-Based Capital Proposal
Comment Letter
April 06, 2015
Letter to NCUA in Response to NCUSIF Reform Recommendations
Comment Letter
March 30, 2015
Letter to CFPB on Small Creditor and Rural Areas Amendments
Comment Letter
March 30, 2015
Letter to CFPB on Safe Student Banking Scorecard
Comment Letter
March 27, 2015
Letter to NCUA on Capital Planning and Stress Testing Schedule Shift
Comment Letter
March 24, 2015
NCUA Chairman Matz's response to NAFCU President and CEO Dan Berger's Letter Seeking Good Faith for TILA/RESPA Compliance
Comment Letter
March 23, 2015
Letter to CFPB on Prepaids
Comment Letter
March 23, 2015
Joint Trades Letter to CFPB on Prepaids
Comment Letter
March 19, 2015
Letter to NCUA on Economic Growth and Regulatory Paperwork Reduction Act of 1996 (EGRPRA)
Comment Letter
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Letter to NCUA on Usury Cap
Comment Letter
Letter to CFPB on Compliment Database
Comment Letter
Letter to CFPB on Credit Card Market Review
Comment Letter
Letter to NCUA on Field-of-Membership (FOM) Recommendations
Comment Letter
Letter to NCUA on Small Entity Definition
Comment Letter
Letter to NCUA on its Fixed Asset Proposal
Comment Letter
Letter to NCUA on its Risk-Based Capital Proposal
Comment Letter
Letter to NCUA in Response to NCUSIF Reform Recommendations
Comment Letter
Letter to CFPB on Small Creditor and Rural Areas Amendments
Comment Letter
Letter to CFPB on Safe Student Banking Scorecard
Comment Letter
Letter to NCUA on Capital Planning and Stress Testing Schedule Shift
Comment Letter
NCUA Chairman Matz's response to NAFCU President and CEO Dan Berger's Letter Seeking Good Faith for TILA/RESPA Compliance
Comment Letter
Letter to CFPB on Prepaids
Comment Letter
Joint Trades Letter to CFPB on Prepaids
Comment Letter
Letter to NCUA on Economic Growth and Regulatory Paperwork Reduction Act of 1996 (EGRPRA)
Comment Letter