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NCCCO ACTUAL EXAM 3 AND EXAM 4 QUESTIONS AND COMPLETE ANSWERS LATEST UPDATE 2026/2027 GRADED A+ .

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1. What types of credit products are covered under Regulation Z CORRECT ANSWER Loanssecured by real property, loans secured by personal property used as a member's principal dwelling or, Private education loans. 2. What types of credit products are not covered under Regulation Z CORRECT ANSWER Business loans, for commercial or agricultural purposes Loan to non-natural persons Credit over $69,500 (limit is adjusted annually) 3. What is open ended credit? What is close ended credit CORRECT ANSWER Open ended credit: Repeated transactions Finance charge is imposed on outstanding unpaid balance Credit replenished as balance is repaid Close ended credit: all other credit plans 4. What is a dwelling CORRECT ANSWER A residential structure that contains 1-4 units, whether or not that structure is attached to real property. Includes individual condominium units, cooperative units, mobile home and trailer, if it is used as a residence. 5. Are there differencesin account opening disclosuresforHELOCs and other open-end credit? When must the disclosure be provided CORRECT ANSWER For HELOCs, Reg Z requires: -Application disclosures - Account opening disclosures - Periodic statements *** CFPB Booklet is required to be given to the member Disclosures must be provided to member prior to the first transaction. 6. What disclosures are required when advertising a promotional APR CORRECT ANSWER If promo-tional rate is related to opening of a new account, the CU must refer to the rate as "introductory", must be listed immediately next to each listing of the promotional rate. Disclosures should also define in a prominent location (close to stated APR) when the promotional rate will end and the APR that will apply after the end of the promotional period. 7. What are the change-in-termsrequirementsforopen-ended credit?Are the rulesthe same for all open ended products? If not, what are the differences?- : Must provide a 45-day notice of change in terms whenever there is a change to a term required to be in the account opening disclosures. For HELOC's, changes to terms requires the CU to issue a notice 15 days prior to the ettective date of the change. This is an example of a unilateral term change. 8. What are the periodic statement requirements for the different open-end credit products? What are the timing requirements for providing each state-ment CORRECT ANSWER Must group interest and fee charges separately from other transactions and fee and interest charges must be totaled for the period and year-to-date in a tabular format. Credit Card statements must have late payment warnings, minimum payment warning and repayment disclosure examples. -Non-credit card with no grace period: 14 days prior to due date -Non-credit card with a grace period: 21 days prior to end of grace period - Credit card: 21 days prior to due date 9. When are additional disclosures required for open-end credit advertising? Are there any exceptions CORRECT ANSWER - A trigger term is mentioned: any minimum, fixed, transaction, activity or similar charge that is a finance charge that could be imposed, the APR and if the plan provides for variable APR, any membership or participation fee could be imposed. - Promotional rate: If promotional rate is related to opening of a new account, the CU must refer to the rate as "introductory", must be listed immediately next to each listing of the promotional rate. Disclosures should also define in a prominent location (close to stated APR) when the promotional rate will end and the APR that will apply after the end of the promotional period. Exceptions include: television and radio advertisements, APR as well as a toll-free number can be provided to members to call for additional disclosure information. 10. What are the special rules applicable to HELOCs CORRECT ANSWER Yes, there are limitation on changing terms, terminating plans and demanding repayment

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NCCCO ACTUAL
EXAM 3 AND EXAM 4
QUESTIONS AND COMPLETE
ANSWERS LATEST UPDATE
2026/2027
GRADED A+ .

,1. What types of credit products are covered under Regulation Z ✓✓ CORRECT ANSWER Loans secured by real property,

loans secured by personal property used as a member's principal dwelling or, Private education loans.

2. What types of credit products are not covered under Regulation Z ✓✓ CORRECT ANSWER Business
loans, for commercial or agricultural purposes Loan to non-natural
persons
Credit over $69,500 (limit is adjusted annually)

3. What is open ended credit? What is close ended credit ✓✓ CORRECT ANSWER Open ended credit: Repeated
transactions

Finance charge is imposed on outstanding unpaid balance Credit replenished as balance is
repaid


Close ended credit:

all other credit plans

4. What is a dwelling ✓✓ CORRECT ANSWER A residential structure that contains 1-4 units, whether or not that structure is attached to real property. Includes
individual condominium units, cooperative units, mobile home and trailer, if it is used as a residence.

5. Are there differences in account opening disclosures for HELOCs and other open-end credit? When must the disclosure be
provided ✓✓ CORRECT ANSWER For HELOCs, Reg Z requires:
-Application disclosures

- Account opening disclosures
- Periodic statements
*** CFPB Booklet is required to be given to the member


Disclosures must be provided to member prior to the first transaction.

6. What disclosures are required when advertising a promotional APR ✓✓ CORRECT ANSWER If promo-tional rate is related to
opening of a new account, the CU must refer to the rate as "introductory", must be listed immediately next to each listing of the promotional rate.


Disclosures should also define in a prominent location (close to stated APR) when the promotional rate will end and the APR that will apply after the end of the promotional
period.

, 7. What are the change-in-terms requirements for open-ended credit? Are the rules the same for all open ended products? If not,
what are the differences?-
: Must provide a 45-day notice of change in terms whenever there is a change to a term required to be in the account
opening disclosures.


For HELOC's, changes to terms requires the CU to issue a notice 15 days prior to the ettective date of the change. This is an example of a unilateral term change.

8. What are the periodic statement requirements for the different open-end credit products? What are the timing requirements
for providing each state-ment ✓✓ CORRECT ANSWER Must group interest and fee charges separately from other transactions and fee and interest charges
must
be totaled for the period and year-to-date in a tabular format.


Credit Card statements must have late payment warnings, minimum payment warning and repayment disclosure examples.


-Non-credit card with no grace period: 14 days prior to due date

-Non-credit card with a grace period: 21 days prior to end of grace period
- Credit card: 21 days prior to due date

9. When are additional disclosures required for open-end credit advertising? Are there any exceptions ✓✓ CORRECT ANSWER -
A trigger term is mentioned: any minimum, fixed, transaction, activity or similar charge that is a finance charge that could be imposed, the APR and if the plan provides
for variable APR, any membership or participation fee could be imposed.


- Promotional rate: If promotional rate is related to opening of a new account, the CU must refer to the rate as "introductory", must be listed immediately next to each listing of
the promotional rate. Disclosures should also define in a prominent location (close to stated APR) when the promotional rate will end and the APR that will apply after the end of
the promotional period.


Exceptions include: television and radio advertisements, APR as well as a toll-free number can be provided to members to call for additional disclosure information.

10. What are the special rules applicable to HELOCs ✓✓ CORRECT ANSWER Yes, there are limitation on changing
terms, terminating plans and demanding repayment.

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