Joint Letter on Cumulative Effects of Rulemakings

In addition to this letter, we intend to file more detailed comments on the Bureau’s Small Business Regulatory Enforcement Fairness Act outline by April 16, as the Bureau has requested. At the same time, we urge the Bureau to recognize that consumers and industry will benefit from efforts by the Bureau to harmonize and streamline multiple rules and take steps to improve this process. We look forward to continuing our work with you to truly improve disclosures for consumers across the United States.

Sincerely,

American Financial Services Association American Land Title Association Community Mortgage Banking Project Community Mortgage Lenders of America Consumer Mortgage Coalition

Mortgage Bankers Association
National Association of Federal Credit Unions
National Association of Home Builders
National Association of Mortgage Brokers
National Association of Realtors
® Real Estate Services Providers Council, Inc. (RESPRO ) Real Estate Valuation Advocacy Association