Skip to content
BOL Conferences
Thread Options
#2071664 - 03/30/16 06:03 PM Outdoor Advertising for HELOCs and Consumer Loans
ComplianceGurl, CRCM Offline
Platinum Poster
Joined: Jul 2007
Posts: 500
We have a scrolling LED sign outside of a branch. When advertising home equities (lines & loans), as well as consumer loans, are disclosures exempt if mentioning trigger terms? Can we just say, "See inside for details"?
Thank you!!

Return to Top
Marketing
#2071736 - 03/30/16 09:04 PM Re: Outdoor Advertising for HELOCs and Consumer Loans ComplianceGurl, CRCM
David Dickinson Offline
10K Club
David Dickinson
Joined: Nov 2000
Posts: 18,763
Central City, NE
No. There are no exemptions for outdoor signs that contain triggering terms in Reg Z - like there is in Reg DD. "See inside for details" is not sufficient.
_________________________
David Dickinson
http://www.bankerscompliance.com

Return to Top
#2071769 - 03/31/16 12:53 PM Re: Outdoor Advertising for HELOCs and Consumer Loans ComplianceGurl, CRCM
ComplianceGurl, CRCM Offline
Platinum Poster
Joined: Jul 2007
Posts: 500
That's what I was thinking too. Thanks David for the confirmation, I appreciate it! :-)

Return to Top

Moderator:  Andy_Z, MoneyMaker