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CFPB Publishes No-Action Letter Policy Statement

By Obrea Poindexter, Sean Ruff, Amanda Mollo & Calvin Funk on February 23, 2016
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On February 22, 2016, the CFPB published its Final Policy Statement (“Final Policy”) on No-Action Letters (“NALs”). The Final Policy follows a Proposed Policy on No-Action Letters (“Proposed Policy”) that the Bureau published in October 2014. The Bureau received 28 comment letters on the Proposed Policy; however, as discussed in this alert, the Final Policy reflects only minor changes from the Proposed Policy.

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  • Posted in:
    Banking, Finance and Securities
  • Blog:
    MoFo ReEnforcement: The Enforcement Blog
  • Organization:
    Morrison & Foerster LLP

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