Hi, I believe this was addressed in a thread years ago but I am having trouble locating it.

If we obtain an applicant's credit report multiple times during the application process (for example, credit report expires), do we have to provide a new FCRA credit score disclosure exception notice under 1022.74(d)? I believe the answer is "no", that this notice is one and done, but I am looking for confirmation since I cannot find a regulatory citation.

Thank you for your assistance.