- Supplemental Comments to the Federal Reserve Regarding the LIBOR Act, Docket No. R-1775 and RIN 7100-AG34, Sep. 19, 2022
- NCLC, AFR, and SBPC Comments to the Federal Reserve Regarding Docket No. R–1775: Proposed Regulation Implementing the LIBOR Act, Aug. 29, 2022
- NCLC, CFA, and Prosperity Now comments to the CFPB re: Qualified Mortgage Definition under the Truth-in-Lending Act (Regulation Z), Apr. 5, 2021
- Group comments to the CFPB re: Language Access Issues in Request for Information on the Equal Credit Opportunity Act and Regulation B, Dec. 1, 2020
- NCLC Letter requesting that the deadline for the Seasoned QM Definition be extended for Yom Kippur, Sep. 17, 2020
- NCLC, CFA, and Prosperity Now long comments to the CFPB re: Qualified Mortgage Loan Definition under the Truth-in-Lending Act (Regulation Z), Sept. 8, 2020
- Civil Rights and Consumer Group Comments to the CFPB re: the General Qualified Mortgage Loan Definition under the Truth in Lending Act (Regulation Z): General, Sept. 8, 2020
- Group Letter to the CFPB requesting an extension to the 30-day comment period for the Seasoned Qualified Mortgage Loan Definition, Sept. 3, 2020
- Comments to CFPB re Facilitating the LIBOR Transition by Amending Regulation Z, Aug. 4, 2020
- Coalition letter to federal banking regulators expressing concerns about proposed changes to the Community Reinvestment Act, Sept. 17, 2019
- NCLC Comments to the VA on revisions to VA-Guaranteed or Insured Cash-Out Home Refinance Loans, Feb. 15, 2019; Additional Comments, March 14, 2019
- Consumer comments to the OCC, Board, and FDIC regarding the proposed rule to amend the regulations requiring appraisals for certain real estate-related transactions, Feb. 5, 2019
- Comments to CFPB re its draft policy guidance regarding the public dissemination of the Home Mortgage Disclosure Act (HMDA) data, Nov. 22, 2017
- Comments to CFPB re Amendments to Federal Mortgage Disclosure Requirements Under the Truth in Lending Act (Regulation Z), Oct. 10, 2017
- Supplemental Comments on the Federal Housing Finance Agency’s Request for Input on Improving Language Access in Mortgage Origination and Servicing Submitted by Americans for Financial Reform’s Language Access Task Force, Sept. 1, 2017
- Comments on the Federal Housing Finance Agency’s Request for Input on Improving Language Access in Mortgage Origination and Servicing Submitted by Americans for Financial Reform’s Language Access Task Force, July 31, 2017
- Group letter to the Federal Housing Finance Agency re Improving Language Access in Mortgage Lending and Servicing, July 31, 2017
- Consumer comments on Loan Guaranty: Revisions to Allowable Charges and Fees Assessed Incident to VA-Guaranteed Home Loans, June 12, 2017
- Comments to CFPB on proposed technical changes to the Home Mortgage Disclosure Act (HMDA), May 25, 2017
- Consumer comments to CFPB re aligning the requirements of the Equal Credit Opportunity Act (ECOA) with the data collection requirements of the Home Mortgage Disclosure Act (HMDA), May 4, 2017 || Additional Comments, May 25, 2017
General Predatory Lending Comments Archive