Grab Bag
Posted by Anthony Demangone
Here are a few items of interest.
- HUD has issued a number of civil money penalties against financial institutions. In addition, HUD has settled allegations of non-compliance with several others.  The number of items in this notice makes me wonder whether HUD's enforcement office has been pressed to kick it up a notch.
- Speaking of HUD, NAFCU is hosting a webcast this Thursday. Barton Shapiro, Deputy Director for RESPA and Interstate Land Sales from HUD will be one of the speakers. If you have concerns with the looming compliance deadline, this might be right up your alley. Sign up here.
- NAFCU Members: Don't forget about our "Year-End Review," a NAFCU member-only conference call on Thursday, Nov. 19, from 4-5 p.m. EST. NAFCU President Fred Becker and the association's senior staff will report on the latest developments in Washington affecting credit unions. Our Call-In is free, but you must register to participate. Call our Member Service Center at (800) 344-5580 or (703) 522-4770; or you may register online at http://www.nafcu-training.org/callin.
- NCUA has issued Regulatory Alert 09-RA-12 to highlight recent changes to Regulation D regarding reserve requirements.
- NCUA has issued Regulatory Alert 09-RA-11 to remind us about recent changes to Reg Z closed end lending brought about by MDIA. Old news, right? Not quite. The Reg Alert also contains the new questionnaire that NCUA examiners will use to measure your compliance.  Â
- Finally, this caught my eye when reviewing the Reg Z open end proposal. File this one under: paternalism.
As you may recall, credit card lenders will have to make disclosures regarding the cost if consumers only make the minimum payment on their balance. If the estimated payoff time is less than two years, it can be disclosed in months. If it is more than two years it must be disclosed in years AND rounded to the nearest year. But, here is what caught my eye.
âÂÂThe Board believes that disclosing the estimated minimum payment repayment period in years (if the estimated payoff period is 2 years or more) allows consumers to better comprehend longer repayment periods without having to convert the repayment periods themselves from months to years.âÂÂ
There are so many things I want to type right now. But I won't. (Sigh.)