Very good.
This section does not apply to a home equity line of credit subject to § 1026.40, except that paragraphs (h) and (i) of this section apply to such credit when secured by the consumer's principal dwelling and paragraph (c)(3) applies to such credit when secured by a dwelling.
Since the Name and NMLSR ID on loan documents is a requirement of 1026.36(g), I have to agree with you and your auditor is wrong.
I forget they put the scope upfront in this section. you are right on.
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