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CFPB Releases Feedback on Supervised Institutions’ COVID-19 Operations

By Stephanie C. Robinson, Ori Lev, Christa L. Bieker, Francis L. Doorley, Anjali Garg & Kevin J. Healy on January 29, 2021
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In response to the significant impacts of the COVID-19 pandemic, the US Consumer Financial Protection Bureau (“CFPB”) announced in July 2020 that it would shift its supervisory priorities and begin performing Prioritized Assessments instead of planned examinations. On January 19, 2021, the CFPB issued its findings in a COVID-19 Prioritized Assessments Special Edition of Supervisory Highlights (the “Report”), which is explained further in this Legal Update. Supervised entities in the areas discussed should evaluate the Report findings, as these may become future supervisory and enforcement priorities.

Read more in Mayer Brown’s Legal Update.

Photo of Stephanie C. Robinson Stephanie C. Robinson
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Photo of Ori Lev Ori Lev
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Photo of Christa L. Bieker Christa L. Bieker
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Photo of Francis L. Doorley Francis L. Doorley

Frank Doorley is a partner in Mayer Brown’s Washington DC office and a member of the Financial Services Regulatory & Enforcement group. He handles a broad range of federal and state regulatory compliance matters, primarily for consumer financial product and service providers.  Frank…

Frank Doorley is a partner in Mayer Brown’s Washington DC office and a member of the Financial Services Regulatory & Enforcement group. He handles a broad range of federal and state regulatory compliance matters, primarily for consumer financial product and service providers.  Frank has significant experience advising lenders, consumer finance providers, and investors on compliance obligations under federal and state law. His experience covers a range of products and program structures, including Fintech and marketplace lending programs, retail and home improvement financing, general-purpose unsecured credit, and small business lending and alternative financing. He regularly provides guidance on federal consumer financial laws such as the Truth in Lending Act (TILA), Real Estate Settlement Procedures Act (RESPA) and the CFPB Mortgage Servicing Rules, Equal Credit Opportunity Act (ECOA), Fair Credit Reporting Act (FCRA), Fair Debt Collection Practices Act (FDCPA), Servicemembers Civil Relief Act (SCRA) and prohibitions on unfair, deceptive, and abusive acts and practices (UDAAP).

Read Frank’s full bio.

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Photo of Anjali Garg Anjali Garg
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  • Posted in:
    Banking, Finance and Securities
  • Blog:
    Consumer Financial Services Review
  • Organization:
    Mayer Brown
  • Article: View Original Source

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