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149 results found

Article

Nutter McClennen & Fish LLP | USA | 28 Feb 2017

Nutter Bank Report, February 2017

The Nutter Bank Report is a monthly publication of the firm's Banking and Financial Services Group...

Article

Stinson LLP | USA | 24 Nov 2015

CFPB issues RESPA and marketing services agreements compliance bulletin

On October 8, 2015, the Consumer Financial Protection Bureau (CFPB) issued a compliance bulletin concerning marketing services agreements (MSAs)

Article

Berger Singerman LLP | USA | 5 Nov 2015

Does your Marketing Services Agreement pass CFPB muster?

In the new era of the Real Estate Settlement Procedures Act ("RESPA"), the Consumer Financial Protection Bureau ("CFPB") is zeroing in on Marketing

Article

Paul Hastings LLP | USA | 21 Oct 2015

Has the CFPB essentially banned Marketing Services Agreements under RESPA?

The Consumer Financial Protection Bureau ("CFPB" or "Bureau") recently issued a Compliance Bulletin (the "Bulletin") on the permissibility of

Article

Stinson LLP | USA | 13 Oct 2015

CFPB issues RESPA and marketing services agreements compliance bulletin

On October 8, 2015, the Consumer Financial Protection Bureau (CFPB) issued a Compliance Bulletin concerning marketing services agreements (MSAs)

Article

Morrison & Foerster LLP | USA | 9 Oct 2015

CFPB Bulletin on marketing services agreements: not per se unlawful, but . . . .

The CFPB on October 8, 2015 issued Compliance Bulletin 2015-05, RESPA Compliance and Marketing Services Agreements (Bulletin)

Article

Sheppard Mullin Richter & Hampton LLP | USA | 8 Oct 2015

CFPB publishes bulletin on RESPA compliance and marketing services agreements

For some time now, the residential lending community has been concerned that the Consumer Financial Protection Bureau has taken unclear positions

Article

Bradley Arant Boult Cummings LLP | USA | 8 Oct 2015

Marketing Services Agreements pose grave compliance risk mortgage and real estate industry on notice

The CFPB issued Compliance Bulletin 2015-05 (Bulletin) today, which sets forth its position concerning the use of Marketing Services Agreements

Article

Bradley Arant Boult Cummings LLP | USA | 19 Feb 2015

A “bad day” for NewDay - CFPB finds RESPA and UDAAP violations in marketing arrangements

The CFPB has issued another Consent Order finding certain marketing and advertising services arrangements to violate RESPA's prohibition on kickbacks

Article

Dykema Gossett PLLC | USA | 28 Jan 2015

Lesson learned from CFPB’s actions against banks engaging in illegal marketing services kickback scheme

Under Section 8 of the Real Estate Settlement procedures Act (RESPA), it is illegal for anyone to give or receive a fee, kickback or anything of

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