If we put this statement on our 30 day past due reminder notices (for consumer dwelling secured loans), would this be sufficient to comply with the SCRA notice requirements?
“The Servicemember Civil Rights Act (SCRA) protects all servicemembers and their dependents from undue hardship resulting from the service member not being able to meet their financial obligations due to being away on active duty in the military service. If you believe you may qualify, please see our website @ www.bank.com
or contact our Compliance Officer @ ###-###-#### to receive a full copy of the Servicemember Civil Rights Act Notice Disclosure.”
Or, would you recommend sending the actual HUD notice itself?