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Mortgage origination and servicing continue to be a supervisory focus. We review the CFPB’s findings in the following areas and discuss compliance implications: redlining based on nonbank lenders’ advertising practices, improper consideration of applicants’ public assistance income in determining eligibility for mortgage modifications, and servicing requirement violations relating to providing periodic statements to consumers in bankruptcy, force-placed insurance, escrow accounts, and servicing transfers.
By Ballard Spahr LLP4.9
4545 ratings
Mortgage origination and servicing continue to be a supervisory focus. We review the CFPB’s findings in the following areas and discuss compliance implications: redlining based on nonbank lenders’ advertising practices, improper consideration of applicants’ public assistance income in determining eligibility for mortgage modifications, and servicing requirement violations relating to providing periodic statements to consumers in bankruptcy, force-placed insurance, escrow accounts, and servicing transfers.

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