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1558 Enforcement Actions in the U.S. over past 30 days

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FTC enforcements decreased 55% over the past 30 days

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SEC issued enforcements: $37,812,859 over the past 30 days

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50 Final Rules go into effect in the next 7 days

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49 Mortgage Lending docs published in the last 7 days

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1670 docs with extracted obligations from the last 7 days

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new Proposed and Final Rules were published in the past 7 days

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11906 new docs in pro.compliance.ai within the last 7 days

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CFPB to require nonbanks to register consumer protection orders

ABA Banking Journal 06/03/2024
The CFPB finalized a rule requiring certain nonbanks to register information about their company with the bureau along with any agency or court orders concerning consumer protection violations, with that information to be kept by the bureau in a public registry
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FDIC Notes More ‘Problem’ Banks; Sparks Debate Over Deposit Insurance

PYMNTS 06/03/2024
At a high level, the total loan base declined by 0.3% in the first quarter, slipping by $35 billion. The FDIC attributed the slide to seasonality, particularly in cards…
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U.S. Supreme Court rules CFPB’s funding structure is constitutional

ABA Banking Journal 06/03/2024
The Appropriations Clause states, “no money shall be drawn from the Treasury, but in consequence of appropriations made by law.” When Congress created the CFPB in 2010, it determined the bureau would not receive its funding through an annual appropriation law…
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Cybersecurity Amendments to Reg S-P

Harvard Law School Forum on Corporate Governance 06/09/2024
On May 16, 2024, the SEC adopted amendments to Regulation S-P (“Reg S-P”) one year after its proposed amendments (the “Proposed Amendments”). The finalized amendments (“Amended Reg S-P”) largely track the Proposed Amendments and include significant requirements related to (1) incident response programs, (2) 30-day customer notifications of data breaches, (3) service provider…
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Lawmakers urge FHFA to reject proposed Freddie Mac second mortgage product

BA Banking Journal 06/04/2024
On May 16, 2024, the SEC adopted amendments to Regulation S-P (“Reg S-P”) one year after its proposed amendments (the “Proposed Amendments”). The finalized amendments (“Amended Reg S-P”) largely track the Proposed Amendments and include significant requirements related to (1) incident response programs, (2) 30-day customer notifications of data breaches, (3) service provider…
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