{"database": "lobbying", "table": "lobbying_activities", "is_view": false, "human_description_en": "where filing_period = \"second_quarter\", filing_year = 2019 and issue_code = \"FIN\" sorted by filing_year descending", "rows": [[2297737, "90b71735-05c5-427d-9941-63f9b743f779", "2T", "FORBES-TATE", 400976792, "ROBERTI GLOBAL, LLC ON BEHALF OF ASSURED GUARANTY MUNICIPAL CORP.", 2019, "second_quarter", "FIN", "Federal bankruptcy issues that affect Puerto Rico and/or impact the municipal bond market; \nIssues relating to the Puerto Rico Oversight, Management, and Economic Stability (PROMESA) (Pub.L. 114-187).", "HOUSE OF REPRESENTATIVES,SENATE", 120000, null, 0, 1, "2019-06-04T17:18:36.910000-04:00"], [2297938, "fe110161-e735-4a9f-a65a-701c75f30e84", "2T", "JACKSON VAUGHN PUBLIC STRATEGIES", 401103484, "FIRST COMMAND FINANCIAL SERVICES, INC.", 2019, "second_quarter", "FIN", "Department of Labor Fiduciary Rule; Department of Defense Rule 1344.07; HR 189, Financial Institution Customer Protection Act of 2019; HR 1282, Data Accountability & Trust Act; HR 1423/S 610, Forced Arbitration Injustice Repeal Act; S 630, Arbitration Fairness for Consumers Act; S 635, Restoring Statutory Rights and Interests in the States Act of 2019", "Defense, Dept of (DOD),HOUSE OF REPRESENTATIVES,Labor, Dept of (DOL),SENATE", null, null, 0, 1, "2019-06-13T11:33:15.937000-04:00"], [2298063, "142c5264-9d37-4d3a-8693-0146fccb2ef6", "2T", "CAPITOL CORE GROUP, INC.", 401103743, "FORTIFI FINANCIAL (FORMERLY, ENERGY EFFICIENT EQUITY)", 2019, "second_quarter", "FIN", "CFPB-2019-0011", "Consumer Financial Protection Bureau (CFPB),HOUSE OF REPRESENTATIVES,SENATE", 10000, null, 0, 1, "2019-06-19T12:36:00.407000-04:00"], [2298127, "da122a4d-be34-42ec-ac35-9bf85036bc8e", "Q2", "THE VELASQUEZ GROUP, L.L.C.", 53403, "CHARLES SCHWAB & COMPANY", 2019, "second_quarter", "FIN", "Monitoring for introduction of legislation similar to H.R. 6158, Brokered Deposit Affiliate-Subsidiary Modernization Act of 2018 which was introduced in the 115Congress.", "HOUSE OF REPRESENTATIVES", 30000, null, 0, 0, "2019-06-24T15:25:08.897000-04:00"], [2298301, "3ac0c6f1-2a9d-4594-8d6e-29b1d8051671", "Q2", "NATIONAL ADVOCACY CENTER OF THE SISTERS OF THE GOOD SHEPHERD", 77993, "CONFERENCE OF PROVINCIALS OF NORTH AMERICA", 2019, "second_quarter", "FIN", "Expressed concern on the proposed rule , Removal of Safe Harbor Protection for Rebates involving Prescription Pharmaceuticals.", "Health & Human Services, Dept of (HHS),HOUSE OF REPRESENTATIVES,Labor, Dept of (DOL),SENATE,White House Office", 30000, null, 0, 0, "2019-06-28T19:51:08.790000-04:00"], [2298371, "1b1aec39-a0dc-4402-8441-83dd414d349a", "Q2", "MORRISON PUBLIC AFFAIRS GROUP", 67193, "ESSENT U.S. HOLDINGS, INC.", 2019, "second_quarter", "FIN", "Housing finance legislation and regulation.", "Federal Housing Finance Agency (FHFA),Ginnie Mae,HOUSE OF REPRESENTATIVES,Housing & Urban Development, Dept of (HUD),SENATE,Treasury, Dept of,White House Office", 30000, null, 0, 0, "2019-07-01T11:14:28.863000-04:00"], [2298448, "d275cf58-214e-4d87-81b0-aa7d3f03cf5d", "Q2", "NVG, LLC", 76833, "REINVESTMENT FUND", 2019, "second_quarter", "FIN", "Community Development Financial Institutions (CDFI) Fund; \nHealthy Food Financing Initiative.", "Agriculture, Dept of (USDA),HOUSE OF REPRESENTATIVES,SENATE,Treasury, Dept of", 30000, null, 0, 0, "2019-07-01T15:16:06.403000-04:00"], [2298643, "a9988b6e-1e70-428d-9ec8-30cd14f30caa", "Q2", "ALLON ADVOCACY, LLC", 401104657, "YODLEE INC.", 2019, "second_quarter", "FIN", "Access to consumer permissioned financial electronic records, third-party bank vendor risk management guidance, implementation of Open Banking regime in the United States, including H.R. 6789 (115th Congress)", "Consumer Financial Protection Bureau (CFPB),Federal Deposit Insurance Corporation (FDIC),Federal Reserve System,Federal Trade Commission (FTC),HOUSE OF REPRESENTATIVES,Labor, Dept of (DOL),Office of the Comptroller of the Currency (OCC),Securities & Exchange Commission (SEC),SENATE,Treasury, Dept of", 70000, null, 0, 0, "2019-07-02T10:31:37.030000-04:00"], [2298650, "758563e5-f88f-4965-971a-469f7d1de9e1", "Q2", "ALLON ADVOCACY, LLC", 401104657, "ACHIEVE", 2019, "second_quarter", "FIN", "Marketplace lending issues", "Consumer Financial Protection Bureau (CFPB),Federal Deposit Insurance Corporation (FDIC),Federal Reserve System,Federal Trade Commission (FTC),HOUSE OF REPRESENTATIVES,Office of the Comptroller of the Currency (OCC),SENATE,Treasury, Dept of", 80000, null, 0, 0, "2019-07-02T10:34:38.547000-04:00"], [2298842, "6facc67d-262b-42e3-9b6c-220cc0d5aee3", "Q2", "FIDELIS GOVERNMENT RELATIONS", 306011, "AFLAC", 2019, "second_quarter", "FIN", "Insurance issues generally", "Executive Office of the President (EOP),HOUSE OF REPRESENTATIVES,Office of the Vice President of the United States,SENATE", 45000, null, 0, 0, "2019-07-02T13:48:01.350000-04:00"], [2298853, "f625c938-032a-43df-a5ed-5f5d7cd82681", "Q2", "RICH FEUER ANDERSON", 84775, "WELLINGTON MANAGEMENT CO LLP", 2019, "second_quarter", "FIN", "Regulation of asset managers.", "HOUSE OF REPRESENTATIVES,SENATE", 50000, null, 0, 0, "2019-07-02T14:45:07.653000-04:00"], [2298878, "968d3d15-f199-45a4-a94a-4833050caca8", "Q2", "JACKSON VAUGHN PUBLIC STRATEGIES", 401103484, "ENOVA ONLINE SERVICES, INC.", 2019, "second_quarter", "FIN", "CFPB Small Dollar Lending Rule; Operation ChokePoint; FinTech Charter; True Lender Legislation; Valid When Made Legislation; HR 1509/S 656, Stopping Abuse & Fraud in Electronic Lending Act of 2019; HR 56, Financial Technology Protection Act; HR 189, Financial Institution Customer Protection Act of 2019; HR 741, Taking Account of Institutions with Low Operation Risk Act of 2019; HR 1282, Data Accountability & Trust Act; HR 1423/S 610, Forced Arbitration Injustice Repeal Act; HR 1491, Facilitating Innovation & New Technology so Entrepreneurs Create and Hire Act of 2019; HR 1509/S 656,Stopping Abuse & Fraud in Electronic Lending Act of 2019; HR 2930/S 1389, Loan Shark Prevention Act; S 142, American Data Dissemination Act of 2019; S 583, Digital Accountability and Transparency to Advance Privacy Act; S 630, Arbitration Fairness for Consumers Act; S 635, Restoring Statutory Rights and Interests of the States Act of 2019; S 1205, Protections in Consumer Lending Act; S 1230, Protecting Consumers from Unreasonable Credit Rates Act of 2019", "Consumer Financial Protection Bureau (CFPB),HOUSE OF REPRESENTATIVES,SENATE", null, null, 0, 0, "2019-07-02T15:07:24.470000-04:00"], [2298881, "e99f0cc0-5624-42f7-bbbb-a0a0f4de07f3", "Q2", "JACKSON VAUGHN PUBLIC STRATEGIES", 401103484, "ONLINE LENDERS ALLIANCE", 2019, "second_quarter", "FIN", "CFPB Small Dollar Lending Rule; Operation ChokePoint; FinTech Charter; True Lender Legislation; Valid When Made Legislation; HR 1509/S 656, Stopping Abuse & Fraud in Electronic Lending Act of 2019; HR 56, Financial Technology Protection Act; HR 189, Financial Institution Customer Protection Act of 2019; HR 741, Taking Account of Institutions with Low Operation Risk Act of 2019; HR 1282, Data Accountability & Trust Act; HR 1423/S 610, Forced Arbitration Injustice Repeal Act; HR 1491, Facilitating Innovation & New Technology so Entrepreneurs Create and Hire Act of 2019; HR 1509/S 656,Stopping Abuse & Fraud in Electronic Lending Act of 2019; HR 2930/S 1389, Loan Shark Prevention Act; S 142, American Data Dissemination Act of 2019; S 583, Digital Accountability and Transparency to Advance Privacy Act; S 630, Arbitration Fairness for Consumers Act; S 635, Restoring Statutory Rights and Interests of the States Act of 2019; S 1205, Protections in Consumer Lending Act; S 1230, Protecting Consumers from Unreasonable Credit Rates Act of 2019", "Consumer Financial Protection Bureau (CFPB),Federal Trade Commission (FTC),HOUSE OF REPRESENTATIVES,SENATE", null, null, 0, 0, "2019-07-02T15:11:26.923000-04:00"], [2298888, "15e36be0-5cdd-40ac-a229-645b79f93e82", "Q2", "RICH FEUER ANDERSON", 84775, "LONDON STOCK EXCHANGE GROUP PLC", 2019, "second_quarter", "FIN", "Regulation of securities indices, regulation of derivative instruments, regulation and capitalization of clearinghouses, and protection of customer assets.", "HOUSE OF REPRESENTATIVES,Securities & Exchange Commission (SEC),SENATE", 60000, null, 0, 0, "2019-07-02T15:17:31.440000-04:00"], [2299186, "dbe8d35f-41dc-402a-8490-3af7a974129c", "Q2", "THE WILLIAMS GROUP", 401104049, "GENERAL MOTORS", 2019, "second_quarter", "FIN", "Privacy Notification", "HOUSE OF REPRESENTATIVES,SENATE", 15000, null, 0, 0, "2019-07-03T11:23:02.567000-04:00"], [2299190, "c1d4bb4f-6376-44e5-8d59-98ad83f6e3b1", "Q2", "THE WILLIAMS GROUP", 401104049, "METLIFE GROUP, INC.(FKA METROPOLITAN LIFE)", 2019, "second_quarter", "FIN", "Non-Bank SIFI Designation", "HOUSE OF REPRESENTATIVES,SENATE", 22500, null, 0, 0, "2019-07-03T11:25:03.347000-04:00"], [2299191, "3c8b5273-f134-4dd2-aefa-b335f358435c", "Q2", "THE WILLIAMS GROUP", 401104049, "AMERICAN FINANCIAL SERVICES ASSOCIATION", 2019, "second_quarter", "FIN", "Annual Privacy Notification", "HOUSE OF REPRESENTATIVES,SENATE", 15000, null, 0, 0, "2019-07-03T11:26:04.160000-04:00"], [2299201, "79f8c823-4952-4f42-ba9d-1da7837f5eaf", "Q2", "THE WILLIAMS GROUP", 401104049, "TRANSUNION", 2019, "second_quarter", "FIN", "FCRA", "HOUSE OF REPRESENTATIVES,SENATE", 11250, null, 0, 0, "2019-07-03T11:30:09.380000-04:00"], [2299215, "704fcb90-cb9e-4d2d-a53c-cc5b9bdb3a24", "Q2", "ONE ACTION", 400615867, "ONE ACTION", 2019, "second_quarter", "FIN", "BUILD Act Oversight with OPIC, USAID, and new DFC", "HOUSE OF REPRESENTATIVES,Natl Security Council (NSC),Office of Management & Budget (OMB),Overseas Private Investment Corp (OPIC),SENATE,State, Dept of (DOS),U.S. Agency for International Development (USAID),White House Office", null, 630000, 0, 0, "2019-07-03T11:56:19.257000-04:00"], [2299252, "8b9bf331-8149-4995-a276-e6ea02d87b1f", "Q2", "REPUBLIC CONSULTING, LLC", 401016871, "FINICITY", 2019, "second_quarter", "FIN", "Advocate Consumer Access to financial data.", "HOUSE OF REPRESENTATIVES,SENATE", 10000, null, 0, 0, "2019-07-03T12:39:35.933000-04:00"], [2299269, "ff839b4d-3180-40a4-96c0-eae678c9e55a", "Q2", "REPUBLIC CONSULTING, LLC", 401016871, "CFA INSTITUTE", 2019, "second_quarter", "FIN", "Capital Markets Policy and regulation of investment professionals, and investment products.", "HOUSE OF REPRESENTATIVES,SENATE", 50000, null, 0, 0, "2019-07-03T12:46:38.687000-04:00"], [2299273, "abcf7ebc-b669-4496-a71e-94d9c4c5a54f", "Q2", "REPUBLIC CONSULTING, LLC", 401016871, "WORKIVA", 2019, "second_quarter", "FIN", "Financial Transparency Act and Use of machine readable data in government reports.", "HOUSE OF REPRESENTATIVES,Securities & Exchange Commission (SEC),SENATE,Treasury, Dept of", 60000, null, 0, 0, "2019-07-03T12:53:40.373000-04:00"], [2299287, "35140dc6-2f3b-4b9a-aa0a-9e1f19704bee", "Q2", "REPUBLIC CONSULTING, LLC", 401016871, "MORTGAGE BANKERS ASSOCIATION", 2019, "second_quarter", "FIN", "Issues related to GSE Reform and affordable housing.", "Executive Office of the President (EOP),HOUSE OF REPRESENTATIVES,Housing & Urban Development, Dept of (HUD),Labor, Dept of (DOL),SENATE,Treasury, Dept of", 40000, null, 0, 0, "2019-07-03T13:15:49.173000-04:00"], [2299396, "e067cc7b-b376-4787-ac65-ff375e98e35f", "Q2", "INTEREL US", 401104823, "ISACA", 2019, "second_quarter", "FIN", "Lobbied on cybersecurity and related issues in regard to the financial services sector.", "HOUSE OF REPRESENTATIVES,Office of Personnel Management (OPM),SENATE,Treasury, Dept of", 30000, null, 0, 0, "2019-07-03T15:51:40.987000-04:00"], [2299407, "925c684b-f974-414a-80ad-ff41c718d818", "Q2", "RICH FEUER ANDERSON", 84775, "NOMURA AMERICA HOLDING INC.", 2019, "second_quarter", "FIN", "Regulation of derivatives and capital requirements.  Equities market structure issues.", "HOUSE OF REPRESENTATIVES,SENATE", 15000, null, 0, 0, "2019-07-03T16:32:48.837000-04:00"], [2299530, "784658a3-5668-4f9a-914d-97529a47e087", "Q2", "KABBAGE, INC.", 401104099, "KABBAGE, INC.", 2019, "second_quarter", "FIN", "1. Educate members of Congress and agencies on Financial Technology solutions (FinTech) in the online small business lending space.\n2. Advocate for open federal data (APIs) through regulatory action or Congressional action via CFPB's Dodd-Frank 1033 process and the IRS Data Verification Modernization Act of 2016 (McHenry and Booker) and H.R.1957 - the Taxpayer First Act of 2019.\n3. Educate the OCC, and CFPB on an \"Open Banking Environment\" (Dodd-Frank Sec. 1033 compared to international systems like the U.K.) so small business customers may share their financial data through permission-based APIs with third-party FinTech platforms. \n4. Discuss federal \"FinTech Sandboxes\".\n5. Discuss legislative and regulatory ramifications stemming from the Madden v. Midland Funding, LLC case (Second Circuit) with respect to the \"Valid When Made\" doctrine", "Consumer Financial Protection Bureau (CFPB),Federal Deposit Insurance Corporation (FDIC),Federal Reserve System,Federal Trade Commission (FTC),HOUSE OF REPRESENTATIVES,Natl Economic Council (NEC),Office of the Comptroller of the Currency (OCC),SENATE,Treasury, Dept of", null, 90000, 0, 0, "2019-07-05T11:19:13.157000-04:00"], [2299623, "fec03792-fc97-45e8-8bdb-65ec1159cea4", "Q2", "HOLLAND & KNIGHT LLP", 18466, "BLOCK.ONE", 2019, "second_quarter", "FIN", "Issues related to financial services and financial technologies.", "HOUSE OF REPRESENTATIVES,White House Office", 80000, null, 0, 0, "2019-07-05T13:54:03.927000-04:00"], [2299636, "465db89a-a913-403b-89ca-0b740aa03160", "Q2", "RICCHETTI INCORPORATED", 62778, "FINSECA", 2019, "second_quarter", "FIN", "issues related to standards of care for insurance agents and restrictions on commission based compensation arrangements", "HOUSE OF REPRESENTATIVES,SENATE", 75000, null, 0, 0, "2019-07-05T14:51:14.150000-04:00"], [2299892, "9a139697-19ad-4661-9c4c-b79ef5622eb6", "Q2", "PRINTING INDUSTRIES OF AMERICA, INC.", 32203, "PRINTING INDUSTRIES OF AMERICA INC", 2019, "second_quarter", "FIN", "SEC Mailings", "Commerce, Dept of (DOC),Environmental Protection Agency (EPA),HOUSE OF REPRESENTATIVES,Intl Trade Administration (ITA),Labor, Dept of (DOL),Natl Labor Relations Board (NLRB),Occupational Safety & Health Administration (OSHA),Securities & Exchange Commission (SEC),SENATE,U.S. Postal Service (USPS)", null, 80000, 0, 0, "2019-07-08T13:01:33.490000-04:00"], [2299930, "267bb9fa-5fff-422e-9852-b36d7ca183fc", "Q2", "M&T BANK CORPORATION", 401104858, "M&T BANK CORPORATION", 2019, "second_quarter", "FIN", "CECL; payments systems; The COUNTER Act; Small business lending; The SAFE Banking Act; other regulations related to financial institutions.", "HOUSE OF REPRESENTATIVES,SENATE", null, 60000, 0, 0, "2019-07-08T14:10:48.027000-04:00"], [2299945, "494369d4-4520-4cd6-b1ed-c44e287c95a0", "Q2", "RICH FEUER ANDERSON", 84775, "AMERICAN PROPERTY CASUALTY INSURERS ASSOCIATION", 2019, "second_quarter", "FIN", "Regulatory structure for insurance and financial activities, including appropriate role of Federal Insurance Office and Federal Reserve.", "Federal Deposit Insurance Corporation (FDIC),Federal Reserve System,HOUSE OF REPRESENTATIVES,Natl Credit Union Administration (NCUA),Office of the Comptroller of the Currency (OCC),SENATE", 40000, null, 0, 0, "2019-07-08T14:36:56.423000-04:00"], [2299956, "6c0e7982-af8d-4b9d-97b7-a9c2a8b82195", "Q2", "NATIONAL ASSOCIATION OF INSURANCE AND FINANCIAL ADVISORS", 26901, "NATIONAL ASSOCIATION OF INSURANCE AND FINANCIAL ADVISORS", 2019, "second_quarter", "FIN", "Issues related to the implementation of the Dodd-Frank Wall Street Reform Act 2010.  Issues related to the regulation of securities products, including the conduct, compensation and use of the title \"advisor.adviser\" by those who sell them.  Issues related to the regulation of certain employee benefit plan/sponsors/participants and IRA holders under ERISA.  Issues related to investment advice provided by municipal advisors.  Issues related to consumer compensation in instances of investment fraud.  Issues related to the disclosure of potential examples of financial exploitation of senior citizens.", "Centers For Medicare and Medicaid Services (CMS),Health & Human Services, Dept of (HHS),HOUSE OF REPRESENTATIVES,Internal Revenue Service (IRS),Labor, Dept of (DOL),Securities & Exchange Commission (SEC),SENATE,Treasury, Dept of", null, 590412, 0, 0, "2019-07-08T14:40:58.750000-04:00"], [2299981, "26b8e3eb-5a43-4271-b305-876a8388e3b6", "Q2", "ACUMENDC LLC", 401105134, "NATIONAL INSTALLMENT LENDERS ASSOCIATION", 2019, "second_quarter", "FIN", "Policies affecting traditional installment credit.", "HOUSE OF REPRESENTATIVES,SENATE", 50000, null, 0, 0, "2019-07-08T15:03:05.033000-04:00"], [2300000, "482e32c8-5ed6-4cd7-b2dd-a5ffe2925e41", "Q2", "ACUMENDC LLC", 401105134, "CHARLES SCHWAB CORPORATION", 2019, "second_quarter", "FIN", "Legislation affecting broker dealers and other financial services.", null, 20000, null, 0, 0, "2019-07-08T15:06:07.927000-04:00"], [2300022, "48f68c1b-0ce8-4b04-a1a4-fa2b217e0c16", "Q2", "COMMUNITY BANKERS ASSOCIATION OF ILLINOIS", 400531588, "COMMUNITY BANKERS ASSOCIATION OF ILLINOIS", 2019, "second_quarter", "FIN", "Federal Policy Priorities - 2019 \n\nThe Community Bankers Association of Illinois (CBAI) supports fair competition for financial services, tiered regulation, the separation of banking and commerce, the dual banking system/charter choice, and financial innovation; and opposes discrimination favoring certain financial service providers, banking industry consolidation and systemic risk. \n\nThe Independent Community Bankers of Americas legislative and regulatory agenda contained in their Community Focus 2020: The Community Bank Agenda for Expanding Economic Opportunity proposes a more efficient system of regulation, unbiased laws governing the financial sector, a safer and more secure business environment, and more efficient agricultural policies to extend the nations economic growth to every corner of the country.\n\nThe swift implementation of the remaining regulatory relief provisions for community banks - consistent with Congressional intent - contained the Economic Growth, Regulatory Relief and Consumer Protection Act (S. 2155) which became law in May of 2018.\n\nThe passage of additional meaningful regulatory relief for community banks including modernizing the Bank Secrecy Act (BSA)/Currency Transaction Report (CTR) threshold/Suspicious Activity Report (SAR) threshold. Also, data for the new beneficial ownership reporting requirements should be collected and verified by the appropriate federal/state government agencies when a legal entity is formed or when subsequent changes occur. \n\nCredit unions and Farm Credit System (FCS) lenders have long-since strayed from their founding purposes, blatantly abusing their competitive advantages. This blatant and continuing discrimination against community banks must end. Either the credit union and FCS competitive advantages must be reined-in or there must be tax credits or deductions for community banks lending to small businesses, farmers and ranchers, homebuyers, and low- and middle-income individuals. These changes in the tax code would help sustain and strengthen community bank lending and would begin to offset the competitive advantage enjoyed by tax-exempt credit unions and FCS lenders.\n\nThe United States payments system (System), which is the very foundation of our financial services and economy, must be modernized to meet the demands of consumers and to keep pace with the rest of the world. System improvements must not be dominated by the largest banks and financial firms or private-sector non-banks. Community banks, small businesses and consumers must rely on the Federal Reserve to provide access to a safe and secure payments system which requires the Federal Reserve to continue to play a preeminent role in the Systems improvement.\n\nThe Community Reinvestment Act (CRA) needs to be updated to incorporate new financial products and services delivered in modern ways. Community banks have traditionally excelled in the performance of their CRA compliance and examinations. The modernization of the CRA must enhance the ability of community banks to serve their communities and must not impose any additional regulatory burden. All financial service providers must be subject to the CRA to provide a complete picture of financial institutions performance in serving their communities - including credit unions, Farm Credit System lenders and Fintechs (including the OCCs Special Purpose National Banks).\n\nThe Federal Deposit Insurance Corporation (FDIC) Deposit Rate Caps (Rate Caps) impact community banks ability to grow and thrive. The flaws in how the Rate Caps are calculated include: not reflecting competitive funding or investment opportunities; the largest banks extensive branch networks and their too-big-to-fail subsidies have an outsized influence on the Rate Caps; promotional and negotiated rates are excluded which present an incomplete picture of the deposit-rate landscape; and credit unions are omitted which wrongly ignores thousands of financial institutions that are similar to community banks. Also, during safety and soundness examinations for well capitalized banks, FDIC examiners are using the flawed Rate Caps as a benchmark in the analysis of bank liquidity, which inevitably results in faulty conclusions that can impact liquidity in a banks CAMELS rating.\n\nWithout taking a position on the legalization of cannabis, it is a matter of public safety to have a safe harbor from federal sanctions for financial institutions that choose to serve legally-compliant cannabis-related business in states where cannabis is legal. \n\nNewly chartered (de novo) community banks are vitally important to maintaining a strong, growing, evolving and vibrant banking profession in the face of industry consolidation. The Federal Deposit Insurance Corporation (FDIC) has indicated a change in direction to finally get back on the right course. These encouraging signs must be closely monitored to assure that many new banks are chartered each year to help maintain the vitality of the community banking profession.\n\nHand in hand with renewed de novo bank formation is the importance of maintaining the dual banking system, which has served our nation well for over 150 years, where chartering and supervision is divided between the federal government and the states.  Community banks should be able to choose the banking charter that best fits their unique business model.  A banking system with multi-agency (state and federal) regulators and charter choice provides the necessary checks and balances on the immense power of the regulators, as well as improved rulemaking - as the benefit of each agencies expertise and experience is brought to bear on complex and controversial issues. \n\nThe reform of the housing GSEs remains critically important to the future of the housing market and the U.S. economy. American homeowners have benefited from the critical role Fannie Mae and Freddie Mac have played in helping finance homeownership for many decades. The GSEs have provided a steady, reliable source of funding for home mortgage lending through all economic cycles and in all markets. Community banks depend on the GSEs for direct access to the secondary market without having to sell their loans through larger financial institutions that compete with them. The GSEs allow community banks to retain the servicing of the loans they sell, which helps to keep delinquencies and foreclosures low. And, unlike other private investors or aggregators, the GSEs have a mandate to serve all markets at all times which is critical to maintaining liquidity when the markets are experiencing financial stress.\n\nMost community banks are members and shareholders of their regional Federal Home Loan Bank (FHLB). The FHLBs provide short-term liquidity, long-term funding, mortgage-related products, and other financial services in order to help their members provide affordable credit to the local communities they serve. The regional structure, special functions and unique purpose of the FHLBs must be recognized and maintained by the Federal Housing Finance Agency (FHFA). As the Administration and Congress consider reforming the housing finance system, care must be taken not to harm the FHLBs. They must remain healthy, stable and reliable sources of funding for their members . However, given their unique relationship with thousands of community lenders, it may be appropriate for the FHLBs to support their members secondary market activities as aggregators or guarantors for residential mortgage loans, provided their current ability to serve their members is not impeded or threatened. Additionally, the FHFA should not impose an ongoing housing mission asset test on FHLB membership, which would undermine the reliability of FHLB funding. \n\nA vibrant agricultural and rural economy is vital to Americas prosperity.  The multi-year Farm Bill provided a strong safety net for farmers and ranchers including adequate price-protection programs and enhanced USDA-guaranteed farm and business loan programs. These programs must be protected from further cuts or adverse changes that would discourage farmer and rancher participation or undermine private-sector delivery. \n\nCommunity banks are strong guardians of the security and confidentiality of their customers information and are on the frontline of defending against cyber security threats. Core data security principals in legislation and regulations must include the complete cost of data breaches being borne by that party that caused the breach; all participants in the payment system should be subject to verifiable Gramm-Leach-Bliley Act-like data security standards; a national data security breach and notification standard should replace the current patchwork of state laws; and any new data security standard proposals should ensure that community banks are not burdened with having to reassess existing critical systems, and implement and comply with new regulations, only to achieve the same superior results they currently attain.\n\nRegulations promulgated by the Consumer Financial Protection Bureau CFPB must provide community banks with the flexibility to meet the needs of its customers and they must not be burdened with additional and unnecessary regulatory requirements that would prevent them from serving their customers and communities.  A one-size-fits-all approach to CFPB regulations harms the successful community bank business model. The CFPB should not be unduly influencing marketplace behavior by targeting financial institutions, products, services, and practices which it deems to be undesirable or inappropriate regardless of what consumers want. \n\nIn reforming the CFPB, the single Director governance should be replaced by a five-member board or commission; a broader definition of firms that grant credit should be subject to the CFPB rules, they should be robustly supervised and examined; and the focus of any enhanced regulation of financial products should be on the mega banks and financial firms, the unregulated shadow financial industry and emerging Fintech companies. \n\nThe CFPB, in the Dodd-Frank Act (Section 1022(b)(3)(A), has the statutory authority to exempt any class of providers [community banks] or any products or services from the rules it writes, but to-date the Bureau has been far too reticent to do so.  The effective use of this authority will ensure community banks continue to be a healthy alternative to large banks and non-banks for consumers seeking to use responsible financial service providers.\n\nThe Office of Comptroller of the Currency (OCC) intends to issue special purpose national banking charters to Fintech companies. The OCCs intentions, however, raise many concerns. The very legal authority permitting the OCC to charter Fintechs has been challenged by the Conference of State Bank Supervisors (CSBS) as being fatally flawed.  A single regulator acting unilaterally in the chartering, examining, supervising and regulating Fintechs is not in the best interests of the profession, consumers and the economy. Congress must provide the explicit statutory authority to charter Fintechs. If the OCC moves forward, it must guarantee that Fintechs will comply with all banking laws, rules and regulations, and that they be held to the same rigorous safety and soundness standards (e.g., supervision and regulation) that are currently being required of community banks and bank holding companies. Fintechs cannot have the advantages of a national bank charter with limited requirements, regulations and liability.  \n\nThe Financial Accounting Standards Board (FASB) has approved significant revisions to the way community banks reserve for their loan losses (i.e., the Current Expected Credit Loss (CECL) Model). After significant community banker input, FASB agreed to address community banker concerns and revised their Model proposal. The revised CECL is more flexible and scalable for community banks by allowing them to evaluate and adjust loan loss amounts using qualitative factors, historic losses, and their current operating systems such as spreadsheets, narratives and other noncomplex estimation methods. Community bankers and Congress must continue to be vigilant to assure the Model implementation provides a clear, practical and easy-to-use methodologies for calculating expected losses which can be seamlessly incorporated into existing processes for community banks.\n\nThere is an emerging threat to the security of consumer data from the proliferation of companies seeking to access bank customer account information (i.e., customer data sharing). The Consumer Financial Protection Bureau (CFPB) is responsible under the Dodd-Frank Act to promulgate this rule. While community banks support responsible innovation in financial products and services, the integrity of consumer data and privacy is only as strong as the weakest link. Community banks are financially sound and take great care in protecting consumer privacy, but non-bank entities are typically not well capitalized, have no significant assets and are financially unable to make restitution in the event of a loss. They must none-the-less be held responsible for ensuring the safety of the customer information they are accessing and be able to satisfy the liability for any financial harm which they cause community banks and their consumers.\n\nThe Consumer Financial Protection Bureaus (CFPB) small-dollar lending rule was intended to address its concerns about consumer abuse caused by payday and vehicle title lenders.  The proposed rule was too broadly drafted and would have ensnared sensible community bank small-dollar consumer lending. Some exemptions were granted for community banks after a burdensome rulemaking process. Subsequently, the new CFPB Director proposed eliminating the underwriting provision, and the delay in the payment provision was continued by a U.S. District Judge. A carefully monitoring and appropriate action will be required, as the implementation of the rule unfolds, to minimize any negative impact on community banks small-dollar consumer lending. \n\nWhile community banks represent less than 20% of banking industry assets, they make 60% of the small business loans and 80% of agricultural loans. The requirement for reporting small business data collection stems from Section 1071 of the Dodd-Frank Act and is meant to facilitate the enforcement of fair lending laws in small business lending. The data, however, clearly suggests fair lending is not a problem at community banks as they treat their customers honestly and fairly. The regulatory burden of the collection and reporting requirements fall disproportionately hard on community banks that lack scale and compliance resources, and Section 1071 should either be repealed or community banks should be provided with a meaningful exception.\n\nFraud losses are increasing at community banks and Reg CC needs to keep pace with the technology that banks and their customers are using, both now and particularly as the payments system transitions to real-time. All banks, credit unions, and others who utilize the payments system should be operating on the same level playing field when it comes to return reasons for fraud and acknowledging and communicating about fraud.\n\nThe recent financial crisis, taxpayer bail-outs and subsequent recession was caused by the misconduct of the nations largest banks and financial firms (Too-Big-To-Fail Banks and Financial Firms). The Dodd-Frank Act was intended to reign-in their destructive behavior. Unfortunately, this was an inadequate legislative and regulatory response which has allowed these financial behemoths to grow in size, complexity and influence; they will continue to abuse their consumers; and they remain a significant threat to our financial system and economy. These megabanks have proven, at great cost to American taxpayers, that they cannot be effectively managed, supervised or disciplined. They are clearly too-big-to-change, too-big-to-fail and must be downsized.\n(House, Senate, FDIC)\n\nLegislation -\n\nPotential legislation to increase private investment limits on banks investing in SBICs from 5% of total capital and surplus to 15% of total capital and surplus (Senate) \n\nPotential reintroduction in the 116th Congress, of the 115th Congress S. 378 (Access to Business Credit Act of 2018), to exclude from gross income certain banks interest received on small business loans of up to $5 million (Senate)\n\nSafe and Fair Enforcement Banking Act of 2019 (S. 1200) - provides a safe harbor for banks which provide financial services to legal cannabis-related business (Senate) \n\n\nLetters -\n\nComment Letter to the OCC, Federal Reserve and the FDIC regarding the Regulatory Capital Rule: Capital Simplification for Qualifying Community Banking Organizations [Community Bank Leverage Ratio (CBLR)] - OCC Docket ID OCC-2018-0040, Federal Reserve Docket No. R-1638, FDIC RIN 3064-AE91 (OCC, Federal Reserve and the FDIC)\n\n\nAction Alerts -\n\nAction Alert regarding raising coverage thresholds for collecting and reporting data about closed-end mortgages under the Home Mortgage Disclosure Act (HMDA) to 100 loans and making permanent the 500 open-end lines of credit threshold instead of reverting back to 200 in 2022 (CFPB)\n\nAction Alert regarding tax-exempt credit unions purchasing taxpaying community banks (House and Senate)", "Consumer Financial Protection Bureau (CFPB),Federal Deposit Insurance Corporation (FDIC),Federal Reserve System,HOUSE OF REPRESENTATIVES,Office of the Comptroller of the Currency (OCC),SENATE", null, 60000, 0, 0, "2019-07-08T16:31:27.687000-04:00"], [2300504, "d93bb88a-c525-43cc-9feb-eee1158df045", "Q2", "MCDERMOTT WILL & SCHULTE LLP", 24338, "SANTA BARBARA TAX PRODUCTS GROUP", 2019, "second_quarter", "FIN", "Legislation and agency regulation concerning tax time financial products, including but not limited to prepaid debit cards.", "HOUSE OF REPRESENTATIVES,SENATE", null, null, 0, 0, "2019-07-09T16:24:11.030000-04:00"], [2300586, "ddba9061-16d0-4c90-87a1-498c3111e6bb", "Q2", "RICH FEUER ANDERSON", 84775, "REFINITIV", 2019, "second_quarter", "FIN", "Modernization of anti-money laundering, terrorist financing and data security legislation.", "HOUSE OF REPRESENTATIVES,SENATE", 30000, null, 0, 0, "2019-07-09T17:56:52.323000-04:00"], [2300804, "102bb8f9-d118-41d6-9bfc-0beb6d0b5b7b", "Q2", "COUNCIL OF INSTITUTIONAL INVESTORS", 11082, "COUNCIL OF INSTITUTIONAL INVESTORS", 2019, "second_quarter", "FIN", "July 9, 2019CII letter to Chair and Ranking Member of Subcommittee on Investor Protection, Entrepreneurship, and Capital Markets regarding hearing on Building a Sustainable and Competitive Economy: An Examination of Proposals to Improve Environmental, Social and Governance Disclosures\nJune 27, 2019CII letter to Senators Grassley & Reed regarding S. 1256. \nJune 26, 2019CII letter to Endeavor Group on its dual-class IPO\nJune 26, 2019CII-CFA-HMA joint letter to SEC Chairman Jay Clayton on MiFID II \nJune 20, 2019CII letter to SEC Division of Corporation Finance on interpretation of the 14a-8(i)(7) ordinary business exclusion in no-action letters\nJune 19, 2019CII letter to Chair & Ranking Member of Committee on Financial Services regarding hearing on Diversity in the Boardroom: Examining Proposals to Increase the Diversity of Americas Boards\nJune 18, 2019CII letter to Chair and Ranking Member of Subcommittee on Investor Protection, Entrepreneurship, and Capital Markets of Committee on Financial Services regarding hearing on Putting Investors First: Examining Proposals to Strengthen Enforcement Against Securities Law Violators", "Federal Trade Commission (FTC),HOUSE OF REPRESENTATIVES,Securities & Exchange Commission (SEC),SENATE", null, null, 0, 0, "2019-07-10T11:05:13.220000-04:00"], [2300856, "d98e6c1f-4181-4509-bce3-3fbadcb37c11", "Q2", "FIDELITY NATIONAL INFORMATION SYSTEMS, INC. AND SUBSIDIARIES", 401104319, "FIDELITY NATIONAL INFORMATION SYSTEMS INC AND SUBSIDIARIES", 2019, "second_quarter", "FIN", "State/Federal Conflicts of Law; Financial Technology; Consumer Privacy.", "HOUSE OF REPRESENTATIVES,SENATE,Treasury, Dept of", null, 40000, 0, 0, "2019-07-10T11:40:43.320000-04:00"], [2301075, "e516f19f-fbe1-4080-9452-e88a5fc5d620", "Q2", "RICH FEUER ANDERSON", 84775, "BLACKROCK FUNDS SERVICES GROUP LLC (FORMERLY BLACKROCK CAPITAL MANAGEMENT INC.)", 2019, "second_quarter", "FIN", "Regulation of asset managers as systemically important financial institutions.  Regulation of money market funds, including S.733, the \"Consumer Financial Choice and Capital Markets Protection Act of 2019.\"  Regulation of exchange-traded funds.", "HOUSE OF REPRESENTATIVES,SENATE", 80000, null, 0, 0, "2019-07-10T15:33:50.947000-04:00"], [2301211, "8353353f-f5ea-4429-9e47-63670cb4e02e", "Q2", "RWC, INC", 400510505, "COIN CENTER", 2019, "second_quarter", "FIN", "Issues related to cryptocurrency technology", "Commodity Futures Trading Commission (CFTC),Financial Crimes Enforcement Network (FinCEN),HOUSE OF REPRESENTATIVES,Office of the Comptroller of the Currency (OCC),Securities & Exchange Commission (SEC),SENATE,Treasury, Dept of", 50000, null, 0, 0, "2019-07-10T18:01:17.357000-04:00"], [2301283, "e2a62b98-9bca-472b-93d0-d38d9e679df7", "Q2", "TAUZIN CONSULTANTS, LLC", 400671007, "ST. CHARLES PARISH", 2019, "second_quarter", "FIN", "Issues related to the upcoming NFIP reauthorization.", "Army, Dept of (Corps of Engineers),HOUSE OF REPRESENTATIVES,SENATE", 30000, null, 0, 0, "2019-07-11T09:53:05.427000-04:00"], [2301383, "1abcf1e0-e366-4b4c-9e49-a356e6449795", "Q2", "MAYNARD NEXSEN PC", 60116, "CMH SERVICES", 2019, "second_quarter", "FIN", "Improving the availability of financing for manufactured homes (no specific legislation).", "HOUSE OF REPRESENTATIVES,Housing & Urban Development, Dept of (HUD),SENATE", 60000, null, 0, 0, "2019-07-11T10:55:56.103000-04:00"], [2301422, "9cd7f2e5-4b79-454b-b11b-41b6f82f0760", "Q2", "HSBC TECHNOLOGY AND SERVICES USA INC.", 18694, "HSBC TECHNOLOGY AND SERVICES USA INC.", 2019, "second_quarter", "FIN", "Beneficial Ownership Registry Proposals;\nH.R.2513 Corporate Transparency Act of 2019\nH.R.2514, the COUNTER Act of 2019 \nBank Secrecy Act reform legislation, generally", "Federal Reserve System,HOUSE OF REPRESENTATIVES,SENATE,Treasury, Dept of", null, 480000, 0, 0, "2019-07-11T11:13:16.840000-04:00"], [2301443, "eb90e0f6-0ad1-448c-8864-76e5f15dbd4a", "Q2", "BLUEPOINT DC", 401104846, "NAVIENT", 2019, "second_quarter", "FIN", "Issues affecting student loan servicing and financial literacy and education.", "Consumer Financial Protection Bureau (CFPB),HOUSE OF REPRESENTATIVES,Natl Economic Council (NEC),SENATE", 30000, null, 0, 0, "2019-07-11T11:43:28.767000-04:00"], [2301454, "c7903542-6ea2-4bac-ad57-34627fa0caa7", "Q2", "BLUEPOINT DC", 401104846, "EVERFI INC.", 2019, "second_quarter", "FIN", "&#226;\u20ac\u2039Issues related to financial education. Issues related to opioid abuse prevention education.", "Consumer Financial Protection Bureau (CFPB),HOUSE OF REPRESENTATIVES,Natl Economic Council (NEC),SENATE", 10000, null, 0, 0, "2019-07-11T11:46:32.483000-04:00"], [2301512, "4c43b3bf-cf69-458a-947c-dfde8c08faf7", "Q2", "CASSIDY & ASSOCIATES, INC.", 8453, "SOCIETY OF ACTUARIES", 2019, "second_quarter", "FIN", "General legislative issues related to actuarial profession", "HOUSE OF REPRESENTATIVES,SENATE,Treasury, Dept of", 20000, null, 0, 0, "2019-07-11T12:43:00.133000-04:00"], [2301543, "135afed6-8963-4df6-8a87-10e4e7a5020a", "Q2", "HUTTON STRATEGIES", 312758, "FEDERATED INVESTORS", 2019, "second_quarter", "FIN", "Financial services & Capital markets issues generally; S. 733, Consumer Financial Choice & Capital Markets Protection Act of 2019.", "HOUSE OF REPRESENTATIVES,SENATE", 60000, null, 0, 0, "2019-07-11T13:33:14.217000-04:00"], [2301565, "b5a0e0fd-9f4e-473a-9dde-50ae9ba15322", "Q2", "HUTTON STRATEGIES", 312758, "MICROBILT", 2019, "second_quarter", "FIN", "data security & privacy legislation generally; credit reporting & financial technology issues generally.", "HOUSE OF REPRESENTATIVES,SENATE", 30000, null, 0, 0, "2019-07-11T13:43:29.217000-04:00"], [2301611, "ff3e4398-3474-41a0-a8d1-22db40b6e0b8", "Q2", "THE SMITH-FREE GROUP, LLC", 35800, "WINE AND SPIRITS WHOLESALERS OF AMERICA, INC.", 2019, "second_quarter", "FIN", "H.R.3055, Commerce, Justice, Science, and Related Agencies Appropriations Act, 2020 (Provisions relating to the Alcohol and Tobacco Tax and Trade Bureau-TTB)", "HOUSE OF REPRESENTATIVES,SENATE", 30000, null, 0, 0, "2019-07-11T14:14:04.190000-04:00"], [2301743, "19bfe84c-7ce2-49af-ac69-8de796b98d6e", "Q2", "CASSIDY & ASSOCIATES, INC.", 8453, "QUANTUM XCHANGE", 2019, "second_quarter", "FIN", "Provide general awareness of clients thresholds in Quantum computing technology", "HOUSE OF REPRESENTATIVES,SENATE", 20000, null, 0, 0, "2019-07-11T15:26:15.980000-04:00"], [2301751, "67e2dda8-be50-40b8-889d-7b69319b3e20", "Q2", "AZOA SERVICES CORP(ALLIANZ OF AMERICA) FORMERLY AZOA SERIVCES CORP/FIREMAN'S FUND(ALLIANZ OF AMERICA", 14611, "AZOA SERVICES CORP(ALLIANZ OF AMERICA) AND AFFILIATES", 2019, "second_quarter", "FIN", "Systemic Risk:  Argue that asset managers should not be designated as systemically important financial institutions under SEC113 of Dodd-Frank.  Also, track international developments regarding systemic risk designation.\n\nMutual Funds:  Advocate for the ability to defer annual capital gains taxation of dividends that are reinvested in mutual funds.  Lobby in favor of making permanent rules related to investment by nonresident aliens in domestic Mutual Funds.\n\nFiduciary Duty:  Monitor SEC's efforts to establish a uniform fiduciary duty standard of investment advisers and broker-dealers.\n\nLobby in favor of the SEC's proposed rule 30e-3 under the Investment Company Act of 1940 regarding electronic delivery of shareholder reports.", "Commodity Futures Trading Commission (CFTC),HOUSE OF REPRESENTATIVES,Risk Management Agency,Securities & Exchange Commission (SEC),SENATE,Treasury, Dept of", null, 540000, 0, 0, "2019-07-11T15:32:20.480000-04:00"], [2301820, "74cb7043-7650-4105-bc53-947b748ff616", "Q2", "THE OPTIONS CLEARING CORPORATION", 66170, "OPTIONS CLEARING CORPORATION", 2019, "second_quarter", "FIN", "Implementation of Title VIII of Dodd-Frank Wall Street Reform and Consumer Protection Act; Impact of bank regulatory capital rules on listed options market.", "Commodity Futures Trading Commission (CFTC),Federal Reserve System,HOUSE OF REPRESENTATIVES,Internal Revenue Service (IRS),Securities & Exchange Commission (SEC),SENATE,Treasury, Dept of", null, 440000, 0, 0, "2019-07-11T16:19:57.157000-04:00"], [2301898, "63e60fc3-22d2-4206-86e2-0fdffed0bac0", "Q2", "THE WASHINGTON TAX & PUBLIC POLICY GROUP", 294930, "LEGGETT & PLATT, INC.", 2019, "second_quarter", "FIN", "Issues related to Dodd-Frank reporting requirements.", "HOUSE OF REPRESENTATIVES,SENATE", 20000, null, 0, 0, "2019-07-11T17:30:47.227000-04:00"], [2302082, "b27b6900-4235-48d8-85b1-eb02f0657a18", "Q2", "NASDAQ, INC.", 27115, "NASDAQ INC", 2019, "second_quarter", "FIN", "Legislation to increase transparency and reduce conflicts of interest in the proxy advisory industry, Corporate Governance Reform and Transparency Act of 2016;\nLegislation on confidential filing and test the waters, S. 536 - Encouraging Public Offerings Act;\nTrading and listings standards needed for a U.S. Venture Exchange, H.R. 2899 - To amend the Securities Exchange Act of 1934 to allow for the registration of venture exchanges, and for other purposes;\nLegislation requiring the prudential regulators to implement a risk-adjusted approach to value centrally-cleared exchange-listed derivatives, Options Markets Stability Act of 2018;\nLegislation on 10-Q optionality, Modernizing Disclosures for Investors Act of 2018;\nSEC Conflict Minerals Rule, To amend the Securities Exchange Act of 1934 to repeal certain disclosure requirements related to conflict minerals of 2017;\nIncentives for the trading of small cap stocks/ETFs;\nImplementation and expansion of the Jobs Act (JOBS and Investor Confidence Act of 2018)/capital formation agenda/IPOs;\nFinancial transaction tax;\nTax treatment of buybacks and dividends;\nSupport diplomatic efforts by the PCAOB / SEC to ensure PCAOB review of foreign auditing firms;\nH1B visa/immigration reform;\nEquity, fixed income market structure/Regulation NMS;\nProprietary ownership and distribution of market data;\nLimitations on SEC regulation of non-exchange activities, Exchange Regulatory Improvement Act of 2017; and\nRequiring transparency of short positions that match existing requirements on long position holders.", "Commodity Futures Trading Commission (CFTC),HOUSE OF REPRESENTATIVES,Securities & Exchange Commission (SEC),SENATE,Treasury, Dept of", null, 300000, 0, 0, "2019-07-12T10:14:24.820000-04:00"], [2302134, "8598f255-5873-49e1-91e0-404b68261891", "Q2", "SIFF & ASSOCIATES PLLC", 400665998, "CENTER FOR CAPITAL MARKETS COMPETITIVENESS, U.S. CHAMBER OF COMMERCE", 2019, "second_quarter", "FIN", "H.R. 1, the \"For the People Act of 2019\"; Title IV, Subtitle F repealing the prohibition on the Securities and Exchange Commission promulgating regulations to require a shareholder vote for a corporation to engage in spending that supports the best interests of the company on public issues directly and through trade associations and other entities.  SEC proposed Regulation Best Interest (83 Fed. Reg. 21574, May 9, 2018).  Office of Financial Research assessment of systemic risk.  General education concerning the need to simplify anti-money laundering / Bank Secrecy Act reporting mandates and raising reporting thresholds.", "HOUSE OF REPRESENTATIVES,Labor, Dept of (DOL),SENATE,Treasury, Dept of,White House Office", 50000, null, 0, 0, "2019-07-12T10:29:39.213000-04:00"], [2302300, "54746c7b-d537-4489-8ab5-191b8b3b1800", "Q2", "AMERICAN ASSOCIATION OF PORT AUTHORITIES", 1683, "AMERICAN ASSOCIATION OF PORT AUTHORITIES", 2019, "second_quarter", "FIN", "Reinventing Economic Partnerships and Infrastructure Redevelopment (REPAIR) Act to support port infrastructure improvements through an Infrastructure Financing Authority (IFA).", "Army, Dept of (Corps of Engineers),Commerce, Dept of (DOC),Environmental Protection Agency (EPA),Federal Emergency Management Agency (FEMA),Homeland Security, Dept of (DHS),HOUSE OF REPRESENTATIVES,Office of Management & Budget (OMB),SENATE,Transportation, Dept of (DOT),Transportation Security Administration (TSA),U.S. Customs & Border Protection,U.S. Trade Representative (USTR)", null, 270000, 0, 0, "2019-07-12T12:02:49.207000-04:00"], [2302469, "ff206edf-4d3b-4fbc-9a6b-9066d3cc63a8", "Q2", "REINSURANCE ASSN OF AMERICA", 33044, "REINSURANCE ASSN OF AMERICA", 2019, "second_quarter", "FIN", "Cannabis insurance safe harbor legislation\nCyber security, cyber insurance, and data breach legislation\nDodd-Frank Act legislation\nExport-Import Bank legislation\nExport-Import Bank reinsurance program legislation\nH.R. 1595 - SAFE Banking Act of 2019\nH.R. 1862 - Federal Insurance Office Abolishment Act of 2019\nH.R. 2479 - PRIVA Act\nH.R. 3407 - United States Export Finance Agency Act of 2019\nInternational insurance legislation\nSanctions legislation\nS. 1200 - Secure And Fair Enforcement Banking Act of 2019\nS. 1298 - PRIVA Act\nS. 1586 - Federal Insurance Office Abolishment Act of 2019\nTerrorism Risk Insurance Program legislation", "Export-Import Bank of the United States (EXIM Bank),Federal Emergency Management Agency (FEMA),Federal Reserve System,Government Accountability Office (GAO),Homeland Security, Dept of (DHS),HOUSE OF REPRESENTATIVES,Housing & Urban Development, Dept of (HUD),Natl Economic Council (NEC),SENATE,Treasury, Dept of", null, 310000, 0, 0, "2019-07-12T14:07:00.677000-04:00"], [2302537, "f93b91de-135c-4ae4-b355-e271e77c7ef8", "2A", "CASSIDY & ASSOCIATES, INC.", 8453, "QUANTUM XCHANGE", 2019, "second_quarter", "FIN", "Provide general awareness of clients thresholds in Quantum computing technology", "HOUSE OF REPRESENTATIVES,SENATE", 20000, null, 0, 0, "2019-07-12T14:35:21.883000-04:00"], [2302569, "7079ffb9-908c-40fe-b908-c6858a1d6114", "Q2", "RESOLUTION PUBLIC AFFAIRS, LLC", 401105068, "WELLS FARGO & COMPANY", 2019, "second_quarter", "FIN", "Issues related to financial institutions generally.\nIssues related to the Dodd-Frank Act (P.L.111-203)", "HOUSE OF REPRESENTATIVES,SENATE", 50000, null, 0, 0, "2019-07-12T15:04:35.153000-04:00"], [2302571, "63350a65-00a5-4073-9bf4-d7b556a436ff", "2T", "MADISON LAW & POLICY, P.C.", 401104528, "A SAY INC.", 2019, "second_quarter", "FIN", "Proxy voting mechanics and technology", "Natl Economic Council (NEC),Securities & Exchange Commission (SEC)", 20000, null, 0, 1, "2019-07-12T15:05:36.577000-04:00"], [2302636, "4fefc942-4af4-4801-a0a0-3d601e5cbbd4", "Q2", "LINCOLN NATIONAL CORPORATION", 22872, "LINCOLN NATIONAL CORPORATION", 2019, "second_quarter", "FIN", "Financial regulatory reform issues including implementation of PL 111-203 Dodd-Frank Wall Street Reform and Consumer Protection Act. Issues: insurance capital standards, roles of federal and state agencies at the IAIS and FSB, standard of care. \nHR 10 Financial CHOICE Act. Issue: implementation and regulatory reform of the financial services industry. \nHR 1815 SEC Disclosure Effectiveness Test Act. Issue: SEC investor testing. \nS 603 Financial Stability Oversight Council Improvement Act of 2019. Issue: FSOC reform.", "HOUSE OF REPRESENTATIVES,Securities & Exchange Commission (SEC),SENATE", null, 200000, 0, 0, "2019-07-12T15:33:59.470000-04:00"], [2302771, "4962a6d9-54f7-4a87-b587-1edff12ba778", "Q2", "HOLLAND & KNIGHT LLP", 18466, "AMERICA'S HOMEOWNER ALLIANCE", 2019, "second_quarter", "FIN", "Housing affordability and access to credit.", "HOUSE OF REPRESENTATIVES,SENATE", null, null, 0, 0, "2019-07-12T16:42:52.257000-04:00"], [2302784, "b5855f0c-7c9e-46bb-9c0c-05b2de7badd2", "Q2", "HOLLAND & KNIGHT LLP", 18466, "MIDFIRST BANK", 2019, "second_quarter", "FIN", "Implementation of P.L. 115-174, the Economic Growth, Regulatory Relief, and Consumer Protection Act; regulatory rulemaking related to Basel III.", "Federal Deposit Insurance Corporation (FDIC),Federal Reserve System,HOUSE OF REPRESENTATIVES,Office of the Comptroller of the Currency (OCC),SENATE", 10000, null, 0, 0, "2019-07-12T16:48:58.977000-04:00"], [2302788, "d3235b5a-8ba3-4640-8332-b294a7086ee6", "Q2", "HOLLAND & KNIGHT LLP", 18466, "NATIONAL ASSOCIATION OF HISPANIC REAL ESTATE PROFESSIONALS", 2019, "second_quarter", "FIN", "Housing affordability and access to credit.", "HOUSE OF REPRESENTATIVES,SENATE,Treasury, Dept of", 20000, null, 0, 0, "2019-07-12T16:51:00.447000-04:00"], [2302794, "a0fff469-2c0e-4e50-b96a-f7179fa42b47", "Q2", "HOLLAND & KNIGHT LLP", 18466, "RADIAN GROUP, INC.", 2019, "second_quarter", "FIN", "Government sponsored entity reform, housing affordability and credit access.", "HOUSE OF REPRESENTATIVES,SENATE,Treasury, Dept of", 50000, null, 0, 0, "2019-07-12T16:53:03.277000-04:00"], [2302824, "83f0e4cc-9f39-4577-9849-6a0f6c9e3ba2", "Q2", "A10 ASSOCIATES, LLC", 401105040, "ASCENSUS", 2019, "second_quarter", "FIN", "Issues related to Retirement Enhancement and Savings Act.", "Treasury, Dept of", 30000, null, 0, 0, "2019-07-12T17:31:19.717000-04:00"], [2303150, "f1bca936-c103-408c-80c5-d39df458cdd4", "Q2", "LOWE'S COMPANIES INC.", 312678, "LOWE'S COMPANIES INC.", 2019, "second_quarter", "FIN", "Monitoring changes to interchange policies and data security", "Energy, Dept of,Environmental Protection Agency (EPA),HOUSE OF REPRESENTATIVES,SENATE,White House Office", null, 320000, 0, 0, "2019-07-15T09:50:00.200000-04:00"], [2303424, "4e678c54-8c06-4955-bb00-88c6bd4e90cc", "Q2", "INSTITUTIONAL LIMITED PARTNERS ASSOCIATION", 401104451, "INSTITUTIONAL LIMITED PARTNERS ASSOCIATION", 2019, "second_quarter", "FIN", "SEC Regulation of Private Equity Advisers", "HOUSE OF REPRESENTATIVES,Securities & Exchange Commission (SEC),SENATE", null, 61000, 0, 0, "2019-07-15T12:28:49.163000-04:00"], [2303512, "2a03c6ef-c32e-4e2e-b9a3-85bc54e1f258", "Q2", "HOLLAND & KNIGHT LLP", 18466, "PCI SECURITY STANDARDS COUNCIL, LLC", 2019, "second_quarter", "FIN", "Policy issues related to data breach and cyber security.", "Federal Trade Commission (FTC),HOUSE OF REPRESENTATIVES,Justice, Dept of (DOJ),SENATE", 50000, null, 0, 0, "2019-07-15T13:13:15.327000-04:00"], [2303587, "4ef7f8c0-f2af-4014-8dd0-c15c33206411", "Q2", "HOLLAND & KNIGHT LLP", 18466, "FINANCIAL SERVICES INSTITUTE", 2019, "second_quarter", "FIN", "Best interest standard for SEC; 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