The Bureau has published its Spring 2001 Regulatory Agenda, which is part of the Unified Agenda of Federal Regulatory and Deregulatory Actions. The Bureau's agenda lists the regulatory matters that, to further its consumer protection mission and mandate, the Bureau is currently pursuing under interim leadership pending the appointment and confirmation of a permanent Director.
COVID-19 pre-foreclosure review period. The CFPB expects to issue a final rule by the end of June amending Regulation X to help ensure that borrowers impacted by the COVID-19 pandemic have an opportunity to be evaluated for loss mitigation before the initiation of foreclosure. The Bureau issued proposed amendments on April 5 that would prevent initial foreclosure actions until after December 31, 2021.
Extension of FDCPA rules.The Bureau expects to finalize its April 7 proposal to extend by 60 days the effective date of two recent final rules issued to implement the Fair Debt Collection Practices Act for third-party collectors.
Small business lending data. The Bureau expects to issue a notice in September 2021 of proposed rulemaking to implement section 1071 of the Dodd-Frank Act, which requires financial institutions to collect, report, and make public certain information about credit applications by women-owned, minority-owned, and small businesses.
Availability of consumer financial account data. The Bureau continues to review comments from its November 2020 advance notice of proposed rulemaking to implement section 1033 of the Dodd-Frank Act to address the availability of consumer financial account data in electronic form.
Standards for Automated Valuation Models (AVMs). The Bureau is pursuing an interagency rulemaking with the Federal Reserve Board, OCC, FDIC, NCUA, and FHFA to develop regulations to implement the amendments made by the Dodd-Frank Act to FIRREA concerning appraisals. The FIRREA amendments require implementing regulations for quality control standards for automated valuation models (AVMs).
Transition from LIBOR. The Bureau expects to issue a final rule in January 2022 amending Regulation Z to lessen the financial impact to consumers and facilitate creditor compliance by providing examples of replacement indices that meet Regulation Z requirements.