There is consensus on each side on whether 12 U.S.C. §5491(c)(3) can be severed from the rest of the Dodd-Frank Act if the Consumer Financial Protection Bureau (CFPB) is found unconstitutional on the basis of the separation of powers, but the proposed remedies under each scenario vary considerably. Read on for proposed solutions by Republican senators, the National Association of Realtors, Mortgage Bankers Association and Consumer Bankers Association related to Seila Law’s case against the CFPB.
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