In this comment Professor McCoy responds to the proposed rule on the definition of a General Qualified Mortgage from the Consumer Financial Protection Bureau
Comment submitted to the federal government on a proposal to revise the rule implementing the Commun...
Following the 2008 financial crisis, Congress required residential mortgage lenders to make a reason...
The Consumer Financial Protection Bureau is proposing to rescind the rule requiring payday lenders t...
In this comment letter, Professor McCoy responds to the Advance Notice of Proposed Rulemaking on Qua...
In this comment Professor McCoy responds to a proposed rule on protections for borrowers affected by...
In this comment Professor McCoy responds to the proposed rule on the definition of a General Qualifi...
In January 2021, the Consumer Financial Protection Bureau (CFPB or Bureau) will face a decision: ren...
Response offering comment on the Consumer Federal Protection Bureau\u27s adopted regulations and new...
Response discussing whether the Consumer Federal Protection Bureau should alter its procedures for a...
Response offering comment on the Consumer Federal Protection Bureau\u27s inherited regulations and i...
Response discussing whether the Consumer Federal Protection Bureau should continue its financial edu...
Professor McCoy coauthored this comment on a proposal by the Financial Stability Oversight Council t...
Imprudent underwriting and mortgage origination in the years leading up to the Global Financial Cris...
Response discussing whether the Consumer Federal Protection Bureau should continue its programs offe...
Response discussing whether the Consumer Federal Protection Bureau should change its processes for d...
Comment submitted to the federal government on a proposal to revise the rule implementing the Commun...
Following the 2008 financial crisis, Congress required residential mortgage lenders to make a reason...
The Consumer Financial Protection Bureau is proposing to rescind the rule requiring payday lenders t...
In this comment letter, Professor McCoy responds to the Advance Notice of Proposed Rulemaking on Qua...
In this comment Professor McCoy responds to a proposed rule on protections for borrowers affected by...
In this comment Professor McCoy responds to the proposed rule on the definition of a General Qualifi...
In January 2021, the Consumer Financial Protection Bureau (CFPB or Bureau) will face a decision: ren...
Response offering comment on the Consumer Federal Protection Bureau\u27s adopted regulations and new...
Response discussing whether the Consumer Federal Protection Bureau should alter its procedures for a...
Response offering comment on the Consumer Federal Protection Bureau\u27s inherited regulations and i...
Response discussing whether the Consumer Federal Protection Bureau should continue its financial edu...
Professor McCoy coauthored this comment on a proposal by the Financial Stability Oversight Council t...
Imprudent underwriting and mortgage origination in the years leading up to the Global Financial Cris...
Response discussing whether the Consumer Federal Protection Bureau should continue its programs offe...
Response discussing whether the Consumer Federal Protection Bureau should change its processes for d...
Comment submitted to the federal government on a proposal to revise the rule implementing the Commun...
Following the 2008 financial crisis, Congress required residential mortgage lenders to make a reason...
The Consumer Financial Protection Bureau is proposing to rescind the rule requiring payday lenders t...