I would like to submit my objection to these broad, broad reaching rules for licensing anyone connected to the credit/mortgage industry. As real estate agents, property managers, etc. we frequently have to discuss various modes of financing and this seems to be way to stringent a way for "police" the mortgage industry. Please reconsider the scope of this law.
Comment Submitted by Gail Rader, Real Estate Broker
This is comment on Proposed Rule
FR–5271–P–01 SAFE Mortgage Licensing Act: HUD Responsibilities Under the SAFE Act
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