NRMLA’s outside counsel, Weiner Brodsky Kider, PC, has published a memorandum for members that summarizes recent enforcement actions taken by the FDIC regarding violations of RESPA Section 8.
Why it matters: The FDIC, on May 17, 2024, announced a consent agreement with a bank for multiple alleged violations, including reverse mortgage-related violations under RESPA Section 8.
Just two months earlier, in its March 2024 Consumer Compliance Supervisory Highlights, the FDIC also focused on potential RESPA Section 8 violations involving relationships between banks and mortgage brokers.
The bottom line: In addition to the FDIC, the CFPB is ramping up its RESPA Section 8-related actions, including, for example, its February 2023 Advisory Opinion on digital mortgage comparison-shopping platforms.
- Go deeper: To learn more, download the memorandum.