A Bit Of Grace

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Foley & Lardner

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Foley & Lardner LLP looks beyond the law to focus on the constantly evolving demands facing our clients and their industries. With over 1,100 lawyers in 24 offices across the United States, Mexico, Europe and Asia, Foley approaches client service by first understanding our clients’ priorities, objectives and challenges. We work hard to understand our clients’ issues and forge long-term relationships with them to help achieve successful outcomes and solve their legal issues through practical business advice and cutting-edge legal insight. Our clients view us as trusted business advisors because we understand that great legal service is only valuable if it is relevant, practical and beneficial to their businesses.
The CFPB's announcement should not be interpreted to mean that lenders are not required to use the new forms.
United States Finance and Banking

The Consumer Financial Protection Bureau (CFPB) has finally agreed to bend under the strain of numerous requests from financial industry participants and 255 bi-partisan House members and 41 senators, who requested that the CFPB delay the implementation of the new Truth in Lending Act and Real Estate Settlement Procedures Act Integrated Disclosures (TRID) requirements. Although the TRID will still go into effect as of August 1, 2015, the CFPB has agreed to take into account the lenders’ good faith efforts to comply with the TRID.

The CFPB’s announcement should not be interpreted to mean that lenders are not required to use the new forms. Lenders must comply with the new Rules and use the TRID forms as of August 1, 2015, but now lenders can breathe a bit easier knowing that they will have time to test their systems and work out any technical glitches that may arise with the use of the new forms.

The CFPB has a section on its website dedicated to the TRID implementation, including guidance documents and example forms. Please see http://www.consumerfinance.gov/regulatory-implementation/tila-respa/.

Although the CFPB has claimed that its guidance documents and the commentary to the new Rules provide all of the answers, we have found situations in which there is not a clear answer on where to include certain information on the TRID. Thus, it is reasonable to expect that the CFPB may be providing additional guidance and clarifications regarding the Rules after the August 1 implementation date. Stay posted for any updates.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

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