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Our in-depth research of financial practices is intended to guide policymakers and opinion leaders working to improve the state of lending.
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October 25, 2021
Comment to the Federal Housing Finance Agency on 2022-2024 Enterprise Housing Goals Advance Notice of Proposed Rulemaking
October 18, 2021
Comment on Proposed Interagency Guidance on Third-Party Relationships: Risk Management
August 24, 2021
Support for Reinstating HUD’s 2013 Disparate Impact Rule
August 4, 2021
Oportun's Abusive Lending Practices Harm Latino and Immigrant Borrowers
July 12, 2021
Comments on Restoring Affirmatively Furthering Fair Housing Definitions and Certifications
May 11, 2021
Protections for Borrowers Affected by the COVID-19 Emergency Under the Real Estate Settlement Procedures Act (RESPA), Regulation X
April 30, 2021
Opposition to the National Credit Union Administration’s Proposal which Would Authorize Predatory Lending by Credit Unions
April 19, 2021
Comment to the Federal Housing Finance Agency on Request for Input on Climate and Natural Disaster Risk Management at the Regulated Entities
April 2, 2021
Comment to the Department of Financial Protection and Innovation on Reining in Abusive Practices in the Bail Bonds Industry
March 15, 2021
Comment on Proposed Rulemaking under the California Consumer Financial Protection Law: Earned Wage Access
March 15, 2021
Group Comment to the Department of Financial Protection and Innovation on Income Share Agreements (ISAs)
March 9, 2021
Comment to the Federal Housing Finance Agency on Resolution Planning Notice of Proposed Rulemaking
March 8, 2021
Broad Coalition Comment to Department of Financial Protection and Innovation on Consumer Protection Issues
February 28, 2021
Comment to the Federal Housing Finance Agency on Enterprise Housing Goals Advance Notice of Proposed Rulemaking
February 16, 2021
Comment to the Federal Reserve Board: Modernizing Community Reinvestment Act (CRA) Regulations
February 16, 2021
Comment: Proposed Change to NCUA Overdraft Policy, RIN 3133-AF20
January 8, 2021
Comment to the Federal Housing Finance Agency on Prior Approval for Enterprise Products
January 4, 2021
Comment to OCC Opposing Proposed Rule to Pressure Banks to Support Predatory Lending
December 22, 2020
Comment on Oportun’s Bank Charter Application
December 14, 2020
Broad Opposition to the CFPB’s Plan to Engage in Payday Loan Disclosure Testing
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