Comments on Proposed Rule: Regulation B


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Date Received
Date Sort descending Letter Type Commenter Name
Public Comment Richard D. Greenfield, Greenfield & Goodman LLC
Public Comment Janet M. Josselyn, Director of Compliance Services, Credit Union Association of Oregon
Public Comment Eugene F. Maloney, Executive Vice President and Corporate Counsel, Federated Investors, Inc.
Public Comment Frank E. Berrish, President/CEO, Visions Federal Credit Union
Public Comment Peggy C. Murphy, Vice President, Whitney National Bank, New Orleans, Louisiana
Public Comment William A. Mrozowski, President and CEO, First Commonwealth Trust Company
Public Comment Mark Nagle, President, SEI Private Trust Company
Public Comment Mike Bohl
Public Comment Steven A. Thomas
Public Comment Jeffrey S. Kropschot, CTCP, Regulatory and Compliance Officer, A.G. Edwards Trust Company FSB
Public Comment Warner W. Price, Senior Vice President, Senior Administrative and Chief Compliance Officer, Banknorth, N.A. and Banknorth Investment Advisors
Public Comment American Bankers Association/ABA Securities Association, America's Community Bankers, Bank Insurance and Securities Association, The Clearing House Association, The Financial Services Roundtable, Independent Community Bankers of America, and Institute of International Bankers
Public Comment Larry J. Musher, Editor, Fiduciary Services Regulatory Alert
Public Comment Barbara M. Boben, Regional Compliance Officer, Trust and Investments and Associate Legal Counsel, Fulton Financial Corporation
Public Comment Lawrence R. Uhlick, Executive Director and General Counsel, Institute of International Bankers

Last Reviewed or Updated: Dec. 18, 2025

File Number
S7-26-04
Release Number
34-49879