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MoFo Reenforcement The Enforcement Blog

Financial Services Report – Winter 2016

Posted in Arbitration, Auto Lending, CFPB, Credit Cards, Disparate Impact, Electronic Payments, Enforcement Actions, Fair Lending, Foreclosure, Military Issues, Mobile Payments, Mortgage, Payday Lending, Preemption, Privacy, Regulatory Developments, State Regulators, UDAAP

Hope you survived all of those awkward Thanksgiving holiday conversations—amazing how divided people are on whether the court got it right in the PHH case, isn’t it? So on we go into the holiday season, while visions of Dodd-Frank repeal dance in our heads. No long winter’s nap for the CFPB, not with the inauguration fast approaching. Will we see a final arbitration rule in our stockings? Will the New Year bring efforts to reinstate Glass-Steagall? How about the promised temporary moratorium on new agency regulations?

No crystal ball, but read on to learn the latest in privacy, mortgage, arbitration, etc., etc. The PHH ruling, the Financial Choice Act, the OCC’s take on regulating FinTech, the latest on privacy, preemption, arbitration, and mortgage—it’s all here as our present to you.

Until next time, have a wonderful holiday and a Happy New Year, from all of us to all of you.

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