Mortgage Loan Officers; Supplemental Capital; GPO Access
Posted by Anthony Demangone.
Here are a few items that caught my eye.
Mortgage loan officers and "wage and hour" laws. Â File this one under "don't shoot the messenger." Â The Department of Labor recently issued an administrator's interpretation indicating that the "typical" mortgage loan officer does not qualify for the "administrative exemption" under the Fair Labor Standard Act's rules. Â In other words, the DOL does not view them as exempt. Â In other words, they should get overtime. Â The interpretation admitted that the term "mortgage loan officer" does refer to a variety of jobs, so the the guidance lays out what it considers to be the typical mortgage loan officer position. Â You'll want to have your HR people review the guidance document to ensure that you've categorized your employees properly. Â (Keep in mind that we're not employment law experts here at NAFCU. Â We're just passing this along, as it is directly related to our industry.)
Supplemental capital.  NCUA Boardmember Gigi Hyland announced the release of a supplemental capital white paper.  The link will take you to the presser, which provides a general overview of the paper's conclusions.Â
NCUA regulations.  NCUA has a nice document that contains all of its regulations.  But NCUA doesn't update that document very often.  That's why a good source is the GPO online Code of Federal Regulations, which includes an up-to-date electronic version of NCUA's regulations.Â