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The NCUA's white paper on NCUSIF improvements is another example of the agency mitigating perceived risk.
NAFCU disagrees with NCUA Chairman Matz, who said cybersecurity elevates third-party authority need.
The NCUA can offer more flexibility revising existing FOM rules, while the industry and agency can pursue legislative changes on Capitol Hill.
Proposed rule raises many questions that deserve fact based answers.
The two-tier RBC ratio doesnt just raise legal questions ... it poses a very real cost concern for healthy credit unions.