That's good to know - Our plan is to do a separate form with the MLA statement and the toll-free number for the covered borrower to call for our deposit advance products. We recently ordered a stock of deposit advance product application/disclosure and we were hoping to do a separate form to include the statement and the number to give to covered borrowers until the stock runs out.
One more question, if we add the statement and the toll-free number on our Reg Z disclosures and/or application for all other products (loans, credit cards, etc) across the board (meaning both covered and non-covered borrowers), would that get us in trouble? Should we only provide the statement and number to the covered borrowers??
Last edited by peony; 08/05/16 03:34 PM.