Welcome to the December Enforcement Actions Roundup — our monthly look at the enforcement activity from the past month, what went wrong, and what financial institutions (FIs) can learn from it.
This roundup features two key resources:
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Related: Bookmark the Ncontracts Enforcement Action Tracker to search the latest enforcement actions by date, category, and regulator.
| Fair Lending | Advertising | AML/CFT | Underwriting | UDAAP | Electronic Funds Transfers | Insider Activities | Flood Insurance | Financial Risk | Concentration | Military Lending | |
| CFPB | 1 | 2 | 4 | 1 | 1 | ||||||
| OCC | 3 | 1 | 8 | 3 | |||||||
| FRB | 1 | 3 | 1 | ||||||||
| FDIC | 5 | 3 | 1 | 1 | 1 | 10 | 5 | ||||
| NCUA |
There were no institutional enforcement actions issued by the CFPB in November 2025.
There were no institutional enforcement actions issued by the OCC in November 2025.
The FRB issued two enforcement actions for flood insurance violations related to loan requirements in special flood hazard areas (SFHAs). Each institution had three separate violations, each carrying a $2,000 civil monetary penalty.
Flood insurance violations have taken center stage over the last two years, with no signs of slowing down. One of the most common causes of these violations is failing to ensure that properties located in Special Flood Hazard Areas (SFHAs) are covered by adequate flood insurance. Financial institutions cannot make, increase, extend, or renew designated loans secured by buildings or mobile homes in SFHAs unless the property is covered by adequate flood insurance for the loan term.
Banks must use FEMA's standard flood hazard determination form to assess whether collateral is in an SFHA where flood insurance is available under the National Flood Insurance Program (NFIP). Institutions also need to retain copies of completed determination forms for the life of the loan and maintain proper internal controls to monitor compliance throughout their loan portfolios.
There were no institutional enforcement actions issued by the FDIC in November 2025.
There were no institutional enforcement actions issued by the NCUA in November 2025.
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