The New York State Department of Financial Services is concerned that the CFPBs proposed amendments to its mortgage loan servicing rulemaking would interfere with the states early-intervention efforts on behalf of delinquent homeowners. Heres the problem, as NY DFS sees it: Under the CFPBs proposed amendments to the mortgage rules per the Real Estate Settlement Procedures Act/ Regulation X, mortgage servicers are prohibited from making the first notice or filing required by applicable law for any judicial or non-judicial...