Our bank would like to make a Facebook post to welcome a new loan officer to our team. The post will not promote any products or services, but will only refer to this person generically as a loan officer. We are in the process of getting him registered on the NMLS. He has a unique identifier number, but he is not fully registered yet pending the submission of fingerprints. If he was fully registered, and searchable on the consumer access site, we’d include his NMLS number on the post. But since he hasn’t completed his registration yet, he is not searchable, so I don’t know whether it’s even permissible to use his NMLS number at this point. Thoughts? Things to take into consideration? Thanks in advance!