How can my bank make sure we correctly classify our employees as a Mortgage Loan Originator or a Loan Originator? It is confusing
Aren’t enforcement actions just a big bank problem?
Can a fair lending enforcement action occur when no specific victims are identified?
We don't make owner occupied mortgages, but do make business purpose loans for rental properties. Do we need to continue using the Equal Housing Lender logo in advertising?
Have there been any changes to RESPA since 2019?