Comments to Notice of Rulemaking Action Regarding Bylaw Amendments
On August 28, 2017, our office responded to the California Department of Business Oversight’s Notice of Rulemaking Action Regarding Bylaw Amendments. Our comments can be found here.
Our law firm has primarily represented credit unions for over 30 years, and we currently represent dozens of state-chartered credit unions in the State of California. Given our historyand extensive experience with bylaws issues, including representation regarding the bylaw amendments and examinations processes, we believe we offer valuable insight into the DBO’s proposed changes to these processes.