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Jack Holzknecht

Jack Holzknecht is the CEO of Compliance Resource, LLC. He has been delivering the word on lending compliance for 39 years. In Jack's 34 years as a trainer over 125,000 bankers (and many examiners) have participated in his live seminars and webinars. Jack's career began in 1976 as a federal bank examiner. He later headed the product and education divisions of a regional consulting company. There he developed loan and deposit form systems and software. He also developed and presented training programs to bankers in 43 states. Jack has been an instructor at compliance schools presented by several state bankers associations. He developed and delivered compliance training for the FDIC and OTS for ten years. He is a Certified Regulatory Compliance Manager and a member of the National Speakers Association. He is also a "BOL Guru."

Upcoming Training Featuring This Presenter

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On-Demand Training Featuring This Presenter

Recorded on August 06, 2013
 

Calculating Points and Fees - Why and How

Calculating Points and Fees - Why and How

The calculation of points and fees on residential mortgage loans has never been more important or complex as it will soon become under the huge changes effective in January under the Dodd-Frank Act.

Recorded on June 11, 2013
 

Reg Z Servicing Rules

Reg Z Servicing Rules

Whether you are making ARM loans now, or simply anticipate that you might in the future as an alternative to balloon loans, the ARM loan notice requirements will be of interest.

Recorded on April 03, 2013
 

Homeownership Counseling Under Reg X

Homeownership Counseling Under Reg X

The Consumer Financial Protection Bureau has amended the RESPA regulation to put a whole new twist on requirements relating to homeownership counseling.

Recorded on August 14, 2012
 

Managing Service Provider Risks

Recorded on July 02, 2012
 

How to Develop a UDAAP Compliance Management System

How to Develop a UDAAP Compliance Management System

A significant number of financial institutions have felt the sting of enforcement actions as a result of engaging in unfair deceptive or abusive acts or practices. When problems arise with UDAAP, regulators require the bank to develop a CMS.

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