Mortgage Bankers Association
CFPBRulemakingCFPB-2020-0033

Role of Supervisory Guidance

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Last modified
Jun 20, 2024
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closed 2031d ago
Mortgage Bankers Association filings
1

Activity

Mortgage Bankers Association filed 1 comment on this docket between Jan 5, 2021 and Jan 5, 2021. 2 other organizations filed here. The comment window closed 2031d ago.

What Mortgage Bankers Association filed (1)

Jan 5, 2021· Comment from Mortgage Bankers Association· CFPB-2020-0033-0017

Filed on regulations.gov — full text not in the inline record.

Abstract

The OCC, Board, FDIC, NCUA, and Bureau (collectively, the agencies) are inviting comment on a proposed rule that would codify the Interagency Statement Clarifying the Role of Supervisory Guidance issued by the agencies on September 11, 2018 (2018 Statement). By codifying the 2018 Statement, the proposed rule is intended to confirm that the agencies will continue to follow and respect the limits of administrative law in carrying out their supervisory responsibilities. The 2018 Statement reiterated well-established law by stating that, unlike a law or regulation, supervisory guidance does not have the force and effect of law. As such, supervisory guidance does not create binding legal obligations for the public. The proposal would also clarify that the 2018 Statement, as amended, is binding on the agencies.

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Role of Supervisory Guidance (CFPB) — Mortgage Bankers Association | OpenPolis