Power 30: CFPB’s Corporate Repeat Offender Registry
Preparing for CFPB’s new Registry, which takes effect September 16, 2024
Zoom Meeting Link
Event Details
Nonbank financial services companies with prior enforcement orders are preparing for the CFPB’s new Registry, which takes effect September 16, 2024. Nonbank consumer lenders, loan servicers, credit reporting companies, furnishers, debt collectors, and payment providers with prior federal, state, or local enforcement orders and consent decrees are among the covered entities with new disclosure obligations. A wide range of CFPB-supervised firms will have registration requirements, while larger firms will also need to meet annual written statement requirements about ongoing compliance. In this webinar, we'll review the final rule's coverage and obligations, and recommend best practices to prepare for the rule and the additional attention it will bring covered companies.
Featured Speakers
Eric Johnson, Hudson Cook, LLP
Eric is a partner in Hudson Cook's Oklahoma City office and Editor in Chief of CounselorLibrary.com's Spot Delivery publication. He assists national and state banks, savings associations, credit unions, mortgage bankers, other licensed lenders, motor vehicles dealers and automotive finance companies in the development and maintenance of nationwide consumer mortgage and automobile finance programs; online motor vehicle sales programs; litigation funding programs; and electronic payment programs.
Mark Metrey, Hudson Cook, LLP
Mark is an associate based in the firm's Washington, DC office, where he is a valuable member of Hudson Cook's automotive finance, data security and privacy, and government investigations practices. Specializing in consumer financial services, Mark represents companies in various aspects of the industry, from government investigations and enforcement actions to consumer disputes. He is a trusted advocate who helps clients navigate the complexities of regulatory bodies like the Consumer Financial Protection Bureau, the Federal Trade Commission, the U.S. Department of Justice, and state attorneys general. Mark continues to build his expertise in automotive finance, data security and privacy, and government investigations, and his dedication and insights are instrumental for clients seeking guidance in these specialized fields.