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1 month ago |
mondaq.com | Timothy Butler |Lisa Lanham |Shane Foster |Matthew White
GT Greenberg Traurig, LLP More Greenberg Traurig, LLP has more than 2,850 attorneys across 49 locations in the United States, Europe, the Middle East, Latin America, and Asia. The firm’s broad geographic and practice range enables the delivery of innovative and strategic legal services across borders and industries.
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Jan 20, 2025 |
mondaq.com | Marina Olman-Pal |Shane Foster |Lisa Lanham |Carsten Kociok
In this GT Trends article, lawyers across our internationalPayments Group identify some of the key regional developments theyanticipate for 2025. 1. Regulatory Environment - Payment activitiesin the United States are regulated at the federal and state levels.
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Jan 19, 2025 |
mondaq.com | Shane Foster |Lisa Lanham |Hilary Sledge-Sarnor |Rinaldo Martinez
GT Greenberg Traurig, LLP More Greenberg Traurig, LLP has more than 2750 attorneys in 48 locations in the United States, Europe and the Middle East, Latin America, and Asia. The firm is a 2024 BTI “Leading Edge Law Firm” for delivering on client expectations for the future and is consistently among the top firms on the Am Law Global 100 and NLJ 500. Greenberg Traurig is Mansfield Rule Certified Plus by The Diversity Lab.
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Sep 17, 2024 |
mondaq.com | Lisa Lanham |Shane Foster |Rinaldo Martinez
GT
Greenberg Traurig, LLP
More
Greenberg Traurig, LLP has more than 2750 attorneys in 47 locations in the United States, Europe and the Middle East, Latin America, and Asia. The firm is a 2022 BTI “Highly Recommended Law Firm” for superior client service and is consistently among the top firms on the Am Law Global 100 and NLJ 500. Greenberg Traurig is Mansfield Rule 6.0 Certified Plus by The Diversity Lab.
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Sep 16, 2024 |
natlawreview.com | Lisa Lanham
Skip to main content September 16, 2024 Volume XIV, Number 260 Legal Analysis. Expertly Written. Quickly Found.
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Sep 16, 2024 |
lexology.com | Lisa Lanham |Shane Foster |Rinaldo Martinez
Connecticut and Kansas recently joined California, New York, Florida, Utah, Virginia, and Georgia in enacting laws requiring lenders to provide consumer-like financing disclosures for certain commercial financing transactions. Like other jurisdictions’ so-called “Business Truth in Lending” laws, Connecticut and Kansas’s newly enacted laws cover, at a minimum, traditional business-purpose loans, along with accounts receivable financing, factoring, and merchant cash advances.
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Sep 10, 2024 |
mondaq.com | Shane Foster |Lisa Lanham |Rinaldo Martinez
Go-To Guide:
CFPB's proposed interpretive rule would classify earned
wage access products as consumer "credit" under the Truth
in Lending Act (TILA) and its implementing Regulation Z.
Under the proposal, expedited delivery fees and voluntary
"tips" consumers pay related to earned wage access
products would constitute "finance charges" under TILA
and Regulation Z.
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Sep 9, 2024 |
lexology.com | Shane Foster |Lisa Lanham |Rinaldo Martinez
Go-To Guide:CFPB’s proposed interpretive rule would classify earned wage access products as consumer “credit” under the Truth in Lending Act (TILA) and its implementing Regulation Z. Under the proposal, expedited delivery fees and voluntary “tips” consumers pay related to earned wage access products would constitute “finance charges” under TILA and Regulation Z.
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Aug 29, 2024 |
mondaq.com | Lisa Lanham |Shane Foster
The Consumer Financial Protection Bureau's interpretive rule
for Buy Now, Pay Later products classifies them as "credit
cards" and their providers as "card issuers" and
"creditors" under the Truth in Lending Act and Regulation Z. The rule is now in effect.
Continue reading the
full article, published by Bloomberg Law August 27,
2024.
The content of this article is intended to provide a general
guide to the subject matter. Specialist advice should be sought
about your specific circumstances.
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Aug 27, 2024 |
news.bloomberglaw.com | Shane Foster |Lisa Lanham
The Consumer Financial Protection Bureau’s interpretive rule for Buy Now, Pay Later products classifies them as “credit cards” and their providers as “card issuers” and “creditors” under the Truth in Lending Act and Regulation Z. The rule is now in effect. While the CFPB reviews submitted comments, which were due Aug. 1, and assesses whether modifications to the interpretive rule are warranted, companies are expected to comply.