Why is proactive loan exception management important in banking?
Do weblinking rules apply if a business has a link to us, and are we required to monitor this?
We include the EHL logo on our website where we offer home loans. We also use Twitter and Facebook, but do not use it there because it is on our site. Are we OK?
What is demonstrable consent and can we do that with new account disclosures we email the new customer?
Is there an FDIC requirement that the "Member FDIC" logo be on all our pages and link to the FDIC website?