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Jack Holzknecht

Jack Holzknecht is the CEO of Compliance Resource, LLC. He has been delivering the word on lending compliance for 39 years. In Jack's 34 years as a trainer over 125,000 bankers (and many examiners) have participated in his live seminars and webinars. Jack's career began in 1976 as a federal bank examiner. He later headed the product and education divisions of a regional consulting company. There he developed loan and deposit form systems and software. He also developed and presented training programs to bankers in 43 states. Jack has been an instructor at compliance schools presented by several state bankers associations. He developed and delivered compliance training for the FDIC and OTS for ten years. He is a Certified Regulatory Compliance Manager and a member of the National Speakers Association. He is also a "BOL Guru."

Upcoming Training Featuring This Presenter

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On-Demand Training Featuring This Presenter

Recorded on April 26, 2018
 

2018 Providing Accurate and Timely Adverse Action Notices

Recorded on April 05, 2018
 

Top 15 Issues With the New HMDA Rules

Top 15 Issues With the New HMDA Rules

The world of HMDA changed dramatically on January 1, 2018. The final rules implementing changes to Regulation C were generally effective on that date.

Recorded on March 30, 2018
 

RESPA - Those Pesky Section 8 Violations

RESPA - Those Pesky Section 8 Violations

Section 8 of the Real Estate Settlement Procedures Act (RESPA) prohibits unearned fees and kickbacks. The CFPB has become a very active but unpredictable enforcer.

Recorded on March 12, 2018
 

Implementing the New TRID Revisions

Implementing the New TRID Revisions

After much industry confusion and concern regarding elements of the regulation, the CFPB released a proposal to update the TRID regulation in July 2016.

Recorded on December 20, 2017
 

ARM Disclosures – Review and Update

ARM Disclosures – Review and Update

Banks must develop Adjustable Rate Mortgage (ARM) program disclosures for each different ARM program offered and must update the disclosures at least annually. Notices must be sent in response to rate changes.

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