Intelligent Compliance

In supporting our mortgage lending and servicing clients, we regularly provide analysis and advice on:

  • Alternative Mortgage Transaction Parity Act and Regulation D
  • Depository Institutions Deregulation and Monetary Control Act
  • Dodd-Frank Wall Street Reform and Consumer Protection Act
  • Equal Credit Opportunity Act and Regulation B
  • Fair Credit Reporting Act and Regulation V
  • Gramm-Leach-Bliley Act and the Privacy and Safeguards Rules
  • Home Mortgage Disclosure Act and Regulation C
  • Mortgage Acts and Practices – Advertising Rule (Regulation N)
  • Real Estate Settlement Procedures Act and Regulation X
  • SAFE Act, Regulations G and H, and related state licensing laws
  • Servicemembers Civil Relief Act and comparable state laws
  • Truth in Lending Act and Regulation Z

Practical Insight into the Housing finance industry

Hudson Cook, LLP has a deep bench of housing finance lawyers. Lawyers in our Mortgage Lending and Servicing practice area counsel bank and non-bank lenders and servicers on an array of state and federal laws and regulations that impact residential mortgage and home equity lending and servicing. In addition to counseling lenders and servicers, we also advise technology companies that provide residential mortgage loan origination and compliance testing platforms. We assist clients with compliance reviews of their own operations, as well as due diligence on third parties. Along with lawyers in our Government Investigations, Examinations and Enforcement practice area, we also assist clients in regulatory enforcement proceedings.

Lawyers in our Mortgage Lending and Servicing practice area have an understanding of the legal and compliance needs of the industry. We offer industry participants insights on their legal and regulatory needs.

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Attorneys Practicing in this Area
INSIGHTS and Webinars

We regularly advise clients on federal and state laws pertaining to:

  • Ability to Repay and Qualified Mortgage requirements
  • Advertising and marketing
  • Appraisal independence
  • Credit reporting
  • Fair lending
  • Federal preemption
  • Fee limitations
  • Foreclosure processes and other servicing requirements
  • GSE and Government loan programs
  • Home Mortgage Disclosure Act and other reporting requirements
  • Licensing
  • Loan originator compensation restrictions
  • Loan sale and purchase agreements
  • Processing and servicing agreements
  • RESPA Section 8 compliance
  • State and Federal disclosures, including the TILA-RESPA Integrated Disclosures (TRID) Rule
  • State and Federal "high cost" and "higher-priced" mortgage compliance
  • UDAP/UDAAP

Representative engagements include:

  • State and federal regulatory counsel to LOS providers, document providers, and automated compliance testing providers, including for TRID implementation
  • Fair lending reviews and statistical analyses for bank and non-bank mortgage lenders
  • Assisted non-bank mortgage servicer in CFPB policy and procedure examination
  • Advised rating agency and other clients on liability framework for TRID errors
  • Advised clients on structuring and documenting home equity line of credit programs
  • Advised clients on structuring and documenting residential construction loan programs
  • Due diligence on a lender's non-QM correspondent program
  • RESPA due diligence on the structure of a mortgage lending joint venture
  • Advised independent consultants conducting a review pursuant to consent orders between bank mortgage servicers and their regulators regarding foreclosure practices

Attorneys Practicing in this Area

April 22, 2026

State Watch: Consumer Protection Enforcement Update

Anastasia V. Caton

Partner

March 31, 2026

Analysis of Finalized New York City Debt Collection Regulation: Part 1

Thomas P. Quinn, Jr.

Partner

January 21, 2026

CFS Bites of the Month – 2025 Annual Review – Student Lending

Thomas P. Quinn, Jr.

Partner

December 10, 2025

Hudson Cook Alert: OCC Requests Feedback on Community Banks’ Engagement with Core and Essential Service Providers

Megan Nicholls

Partner

November 24, 2025

Hudson Cook Enforcement Alert: California Launches Data Broker Enforcement Strike Force

September 05, 2025

State Watch: Consumer Protection Enforcement Update – August 2025

Anastasia V. Caton

Partner

September 05, 2025

Massachusetts Fee Transparency Rules Take Effect: What Rental Housing Providers Need to Know

Jay Harris

Partner

August 29, 2025

Important Compliance Notes on CCPA

Megan Nicholls

Partner

August 29, 2025

Contractor Licensing Issue Voids Construction Loan in Georgia

Clayton C. Swears

Partner

August 25, 2025

Consumer Financial Services Bites of the Month – August 20, 2025 – “August is Over CFPB”

Justin B. Hosie

Partner

April 22, 2026

Compliance Coffee Break – The Hunstein Decision: Sea Change or Business as Usual?

Anastasia V. Caton

Partner

March 29, 2026

2025 Litigation Lessons Quarterly Webinar Series

Julia K. Whitelock

Partner

March 29, 2026

2025 Residential Property Management Webinar Series

Jay Harris

Partner

March 29, 2026

2025 The Data Edge: Developments that Matter to Your Data Compliance

Megan Nicholls

Partner

March 28, 2026

2026 Litigation Lessons Quarterly Webinar Series

Julia K. Whitelock

Partner

January 12, 2021

Compliance Coffee Break: New NACHA Account Validation Requirement Coming in March – Are You Ready?

Ryan S. Stinneford

Partner

April 03, 2020

Special Compliance Coffee Break – Fintech Innovation Opportunities in the COVID-19 Era

Catherine M. "Cathy" Brennan

Partner

March 30, 2020

Special Compliance Coffee Break – Bank Regulatory Compliance in the Shadow of COVID-19

Thomas P. Quinn, Jr.

Partner

December 11, 2019

Happy Anniversary?! Kraninger’s first year at the CFPB

Justin B. Hosie

Partner

November 13, 2019

Why become a payfac? A look at the future of the acquiring industry

Ryan S. Stinneford

Partner