CBA thinks the approach taken because of the proposed directions is flawed for a couple of reasons

CBA thinks the approach taken because of the proposed directions is flawed for a couple of reasons A bank would be required to monitor the consumer’s use of a deposit advance products and repetitive use would be viewed as evidence of weak underwriting under the proposals. To conform to the guidance, policies associated with the …

CBA thinks the approach taken because of the proposed directions is flawed for a couple of reasons Read More »