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Results: 1-10 of 11

A little pruning

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • December 6 2011

The CFPB announced that it will ask the public to comment on which regulations it inherited from the other agencies should be updated, modified, or eliminated because they’re outdated, unduly burdensome or unnecessary

Standing out in the crowd

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • December 6 2011

Pursuant to Section 113 of Dodd-Frank aimed at avoiding a repeat of the Lehman Brothers collapse in September 2008, the Federal Stability Oversight Council (“FSOC”) issued a proposed rule establishing a three-stage analysis for identifying non-bank systemically important financial institutions

Who is larger?

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • September 2 2011

The Bureau of Consumer Financial Protection (“CFPB”) requested comment with respect to the CFPB’s authority to establish a supervisory program for non-banks covered by the Dodd-Frank Act

What’s the plan?

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • June 2 2011

A recently proposed rule by the Federal Reserve Board and the Federal Deposit Insurance Corporation would systemically impose significant bank holding companies and nonbank financial companies to submit annual resolution plans and quarterly credit exposure reports

Finger pointing? Or finger painting?

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • March 11 2011

Thank goodness!

The gang’s all here

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • March 11 2011

The CFPB and the Conference of State Bank Supervisors ("CSBS") signed a memorandum of understanding to establish a foundation of state and federal coordination and cooperation for supervision of providers of consumer financial products and services

Temporary unlimited deposit insurance coverage for non-interest-bearing transaction accounts

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • December 9 2010

The FDIC approved a final rule implementing Section 343 of the Dodd- Frank Act providing temporary unlimited deposit insurance for non-interest-bearing transaction accounts, and requiring banks to notify their customers about any changes to the insurance coverage on their accounts

Alternatives to the use of credit ratings in the regulatory capital guidelines

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • September 1 2010

The federal banking agencies have published an advance notice of proposed rulemaking regarding alternatives to the use of credit ratings in their risk-based capital rules for banking organizations

Fill in the blanks

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • June 4 2010

The federal banking agencies, NCUA, SEC, CFTC and FTC jointly released an online utility for generating privacy notices

A model of privacy

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • December 8 2009

The federal banking agencies and the CFTC, FTC, NCUA and SEC issued a final rule amending their respective privacy rules under Title V of the Gramm-Leach-Bliley Act ("GLBA") to provide a model privacy form that financial institutions may use to describe their privacy policies and to provide consumers with the opportunity to opt out of the sharing of information with non-affiliated third parties, as required by the GLBA