We are partnering with our mortgage affiliate also on a HELOC offering. They will do the first mortgage and the bank is doing the 2nd for the downpayment. The catch is that the mortgage person is a "dual employee" of both the mortgage company and the bank. The HELOC will be done in the bank's name but the dual employee will close the loan at the same time they do the first mortgage. In this case, do we have a affiliate business arrangement since the person is a "dual employee"? Another related question is if we do an AfBA disclosure, the mortgage company says that since there would be no fees on the HELOC that the only thing that would be disclosed would be the affiliate relationship and there would be nothing indicated under providers and charges. I'm going back through the appendix but so far haven't come across this. Thank you.