NCRC Comment to FHFA on the Use of Eminent Domain to Restructure Performing LoansBy NCRC / September 10, 2012 / Testimony & Regulatory Comments / 1 minute of reading Read NCRC’s comment to FHFA on the Use of Eminent Domain to Restructure Performing Loans
NCRC’s Letter to The Appraisal Subcommittee About Potential Solutions to Appraisal Bias in Response to February 13, 2024 Hearing Testimony & Regulatory Comments
Comment on SBA Proposed Rule on Criminal Justice Reviews for the SBA Business Loan Programs Testimony & Regulatory Comments