Jeremy T. Rosenblum is Co-Practice Leader of the firm's Consumer Financial Services Group. He has devoted the past 30 years in private practice to representing the consumer financial services industry.
Mr. Rosenblum's practice focuses on federal and state lending and consumer practices laws, with emphasis on the interplay between federal and state laws, joint ventures between banks and nonbank financial services providers, the development and documentation of new financial services products (especially products designed to serve the needs of unbanked and under-banked consumers), bank overdraft practices and disclosures, geographic expansion initiatives, and compliance with federal and state consumer protection and usury laws, including "UDAAP" statutes prohibiting unfair, deceptive, and abusive acts and practices; the Truth in Lending Act (TILA); the Electronic Funds Transfer Act; E-SIGN; the Equal Credit Opportunity Act; and the Fair Credit Reporting Act (FCRA).
Mr. Rosenblum's practice involves regular dealings with industry trade groups and regulators. In this regard, he has drafted a number of amicus curiae briefs, to the U.S. Supreme Court and other courts, on behalf of a number of industry and business trade groups, including the American Bankers Association, the Consumer Bankers Association, the U.S. Chamber of Commerce, the Mortgage Bankers Association, the Financial Services Roundtable, and the American Financial Services Association.
In addition to his consumer financial services regulatory and litigation practice, Mr. Rosenblum represents banks, thrifts, and other entities in charter transactions; mergers, acquisitions, and conversions; asset securitizations; purchases of loan servicing rights; and public offerings and private placements of equity and debt instruments.
More Legal and Business Bylines From Jeremy T. Rosenblum
- Court Continues Stay Of Litigation And Compliance Date In Trade Group Lawsuit Challenging CFPB Payday Loan Rule - (Posted On Thursday, August 08, 2019)
- Parties File Another Status Report in Trade Group Lawsuit Challenging CFPB Payday Loan Rule - (Posted On Monday, August 05, 2019)
- CFPB Issues Final Rule Delaying Compliance Date of Payday Loan Rule Ability-to-Repay Provisions; August 19 Compliance Date for Payment Provisions Remains Unchanged - (Posted On Monday, June 10, 2019)
- NY Federal District Court Deals Blow to OCC Fintech Charter - (Posted On Monday, May 06, 2019)
- CFPB does not seek lifting of stay of compliance date for payday loan rule’s payment provisions in new status report filed in trade groups’ lawsuit - (Posted On Monday, March 11, 2019)
- CFPB Issues Small Entity Compliance Guide for Payday Loan Rule Payment Provisions - (Posted On Monday, February 25, 2019)
- OCC Issues Statement in Support of Proposed Revisions to CFPB Payday Loan Rule - (Posted On Monday, February 11, 2019)
- CFPB Proposes Revisions to Final Payday/Auto Title/High-Rate Installment Loan Rule - (Posted On Monday, February 11, 2019)
- CFPB announces settlement with broker of pension assignments - (Posted On Thursday, January 24, 2019)
- FDIC Seeks Comments on Small-Dollar Lending - (Posted On Thursday, November 15, 2018)