On behalf of the National Association of Surety Bond Producers (NASBP), a national trade association whose membership includes firms employing licensed surety bond producers placing surety bonds throughout the United States and its territories, I am writing to you to express our comments concerning the implementation of an electronic surety bond tracking system for mortgage loan originators and mortgage companies as required by the Secure and Fair Enforcement for Mortgage Licensing Act of 2008 (SAFE Act).
Topic
Advocacy, Technology
Publish Date
October 28, 2014
Region
Federal
Audience
Agents, Owners, Sureties
Resource Type
Comment Letter, Resource Map
NASBP Letter Addressing Locality Requirements in VA Bid Bond