Replace US Currency Field to the Consumer Credit Application and eSign it in minutes

Aug 6th, 2022
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How to Replace US Currency Field to the Consumer Credit Application

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hey guys its kalia with southern regime so one of the questions i get on a weekly basis uh revolves around how can i be denied credit or i gotta deny credit and i have like a 700 score like whats happening there um so the idea of being denied credit actually has like several layers to it so im gonna try to make it as simple as possible um the key being in that process knowing who you are as the consumer like youre extremely powerful as a consumer but if you dont know that then you can execute it so if we start at um 15 usc 1602 theres a list of definitions im actually going to share it here but im actually also going to read it to you one that im focused on right now which is what is a credit card so it says that the term credit card means any card plate coupon book or other credit device existing for the purpose of obtaining money property labor or services on credit so what this means um im not im not gonna read every definition there but you can definitely go look it up u

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Any questions about your race, ethnicity and gender cannot be used as a reason to approve or deny your credit application. Creditors have to provide equal information to all borrowers throughout the entire transaction.
Timing Requirements The 3/7/3 Rule The initial Truth in Lending Statement must be delivered to the consumer within 3 business days of the receipt of the loan application by the lender. The TILA statement is presumed to be delivered to the consumer 3 business days after it is mailed.
Generally, a creditor is responsible for ensuring that a Loan Estimate is delivered to a consumer or placed in the mail to the consumer no later than the third business day after receipt of the consumers application for a mortgage loan subject to the TRID Rule.
The requirement for the additional three business-day waiting period once the Closing Disclosure has been delivered applies under three specific scenarios: 1) an inaccurate APR, which violates the established tolerances; 2) the addition of a prepayment penalty; or, 3) a change in the loan product.
The six items are the consumers name, income and social security number (to obtain a credit report), the propertys address, an estimate of propertys value and the loan amount sought.
Your lender is required by law to give you the standardized Closing Disclosure at least 3 business days before closing. This is what is known as the Closing Disclosure 3-day rule. This requirement is thanks to the TILA-RESPA Integrated Disclosures guidelines, which went into effect on October 3, 2015.
The three-day period is measured by days, not hours. Thus, disclosures must be delivered three days before closing, and not 72 hours prior to closing. Note: If a federal holiday falls in the three-day period, add a day for disclosure delivery.
Pre-consummation or account opening waiting period. A creditor must furnish 1026.32 disclosures at least three business days prior to consummation for a closed-end, high-cost mortgage and at least three business days prior to account opening for an open-end, high-cost mortgage.

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