Response discussing whether the Consumer Federal Protection Bureau should continue its programs offering formal and informal guidance and implementation support
In this comment letter, Professor McCoy responds to the Advance Notice of Proposed Rulemaking on Qua...
After existing regulatory systems failed to prevent the recent financial crisis, Congress passed the...
In this comment Professor McCoy responds to the proposed rule on the definition of a General Qualifi...
Response discussing whether the Consumer Federal Protection Bureau should alter its procedures for a...
Response discussing whether the Consumer Federal Protection Bureau should continue its financial edu...
Response discussing whether the Consumer Federal Protection Bureau should change its processes for d...
Response discussing whether the Consumer Federal Protection Bureau should stop taking enforcement ac...
Response offering comment on the Consumer Federal Protection Bureau\u27s adopted regulations and new...
Response discussing whether the Consumer Federal Protection Bureau should take down its consumer com...
Response discussing whether it should be harder for the Consumer Federal Protection Bureau to collec...
Response discussing whether the Consumer Federal Protection Bureau should use administrative law jud...
Response offering comment on the Consumer Federal Protection Bureau\u27s inherited regulations and i...
In this comment Professor McCoy responds to a proposed rule on protections for borrowers affected by...
Comment submitted to the federal government on a proposal to revise the rule implementing the Commun...
This article surveys the Consumer Financial Protection Bureau\u27s ( CFPB or the Bureau ) activiti...
In this comment letter, Professor McCoy responds to the Advance Notice of Proposed Rulemaking on Qua...
After existing regulatory systems failed to prevent the recent financial crisis, Congress passed the...
In this comment Professor McCoy responds to the proposed rule on the definition of a General Qualifi...
Response discussing whether the Consumer Federal Protection Bureau should alter its procedures for a...
Response discussing whether the Consumer Federal Protection Bureau should continue its financial edu...
Response discussing whether the Consumer Federal Protection Bureau should change its processes for d...
Response discussing whether the Consumer Federal Protection Bureau should stop taking enforcement ac...
Response offering comment on the Consumer Federal Protection Bureau\u27s adopted regulations and new...
Response discussing whether the Consumer Federal Protection Bureau should take down its consumer com...
Response discussing whether it should be harder for the Consumer Federal Protection Bureau to collec...
Response discussing whether the Consumer Federal Protection Bureau should use administrative law jud...
Response offering comment on the Consumer Federal Protection Bureau\u27s inherited regulations and i...
In this comment Professor McCoy responds to a proposed rule on protections for borrowers affected by...
Comment submitted to the federal government on a proposal to revise the rule implementing the Commun...
This article surveys the Consumer Financial Protection Bureau\u27s ( CFPB or the Bureau ) activiti...
In this comment letter, Professor McCoy responds to the Advance Notice of Proposed Rulemaking on Qua...
After existing regulatory systems failed to prevent the recent financial crisis, Congress passed the...
In this comment Professor McCoy responds to the proposed rule on the definition of a General Qualifi...