Comment letter on National City Bank’s OCC request to preempt Georgia Fair Lending Act.

|
Uncategorized
occ_march2003_03-04_preemption.pdfWoodstock Institute comments to the Office of the
Comptroller of the Currency on National City’s request to the OCC to
pre-empt the Georgia Fair Lending Act.  National City claims that
the National Bank Act authorizes the OCC to occupy the field of real
estate lending regulation thus suggesting that all the provisions of
GFLA are preempted.
Next
Reinvestment Alert 20: CRA and CDFIs Revisitied:The Importance of Bank Investments for the Community
Previous
Testimony to the Illinois OBRE regarding changes to the Residential Mortgage Licensee Act

Recent Related Articles