Woodstock Comment to the Just Housing Amendment Rules
Woodstock Comment to Consumer Financial Protection Bureau on Overdraft Rule
Woodstock Comment to the OCC on the Innovation Pilot Program (as an alternative to a regulatory sandbox)
Woodstock Institute’s Comment Letter on NPRM to raise HMDA reporting threshold
Woodstock Institute offers this comment in response to the Consumer Financial Protection Bureau’s (CFPB's) Notice of Proposed Rulemaking (NPRM) on payday, vehicle title, and certain high cost installment loans (the “Proposed Rule”). Thank you for the opportunity to comment...
Woodstock Institute’s Letter to FDIC Supplementing Objections to Square ILC Charter
Director Kathy Kraninger ATTN: Comment Intake Bureau of Consumer Financial Protection, 1700 G Street NW Washington, DC 20552 Re: Proposal to Rescind Payday Rule’s Ability-to-Repay Requirements Docket No. CFPB-2019-0006, RIN 3170-AA80 ...
Comment Letter on California Small Business Loan Disclosure Law, SB 1235 January 22, 2019
Sample Response FDIC RFI Payday Loans by Banks Mr. Robert E. Feldman Executive Secretary Federal Deposit Insurance Corporation 550 17th St. NW Washington, DC 20429 Re: Small-Dollar Lending, Request for Information, RIN 3064–ZA04 Dear Executive...
Letter to Office of the Comptroller of the Currency Regarding PNC Bank’s Community Reinvestment Act Performance November 27, 2018