NCRC

GSE Capital Rule Comment Sign-on Letter

Comment to the Federal Housing Finance Agency on Enterprise Regulatory Capital Framework Thank you for the opportunity to comment on the Federal Housing Finance Agency’s (FHFA’s) re-proposed rule on capital requirements for Fannie Mae and Freddie Mac (the governmentsponsored enterprises, or GSEs). In our view, the proposed rule erroneously treats the GSEs as banks and […]

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Disaster Preparation for Practitioners

Disaster preparation For Practitioners Plans, Policies and Steps to Prepare for Disaster and Navigate Through the Aftermath Practitioner’s Guide This guide outlines key steps that nonprofit practitioners should take to prepare their families and help clients mitigate damage and avoid stress. When a nonprofit agency is preparing its operations and staff for a disaster, it

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Disaster Preparation for Managers

Disaster preparation For Managers Plans, Policies and Steps to Prepare for Disaster and Navigate Through the Aftermath Managers Guide This guide outlines key steps that managers should take to prepare their operations, staff and clients. When a nonprofit agency is preparing its operations and staff for a disaster, it’s all hands-on deck. This step-by-step guide

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Why the Community Reinvestment Act should be expanded broadly across the financial industry

An antidote to discrimination, the Community Reinvestment Act says banks have an affirmative obligation to serve all communities. It’s time to extend that obligation to all of the financial sector, including insurance, securities and non-bank mortgage lenders.

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NCRC Comment on SoFi’s Charter Application

August 12, 2020 RE: NCRC Comment Letter on SoFi Charter Application To Whom it May Concern: The National Community Reinvestment Coalition (NCRC) and 41 community organizations co-signing this letter maintain that Social Finance, Inc.’s (SoFi’s) application for a bank charter has not demonstrated a significant commitment to meeting the convenience and needs of the community

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