Mortgage Servicing Notice of Error and Request for Information Requirements—Part II of II

Written by David Park, NCCO, Regulatory Compliance Counsel, NAFCU

The first part of this series of articles addressed the scope of the notice of error and request for information requirements and explained what constitutes a notice of error and request for information under the rule. This piece also examined the timing of responses and the duties and responsibilities credit unions have in investigating and responding to a notice of error or request for information.

Already a member? Log in

NAFCU Members Get More

This page contains member-only content.

Membership is open to all federally insured credit unions in the United States, both federally and state-chartered. Members enjoy:

  • Hundreds of articles and resources
  • Personalized compliance assistance
  • Discounts on top-rated education opportunities
  • Member-only benefits and savings

Interested? Schedule a Customized Membership Webinar

If you are already logged in and believe you should have access to member-only content, please contact us for assistance at info@nafcu.org.