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Overview

After more than a decade at the Consumer Financial Protection Bureau (CFPB), where he played a central role in writing some of the agency’s most impactful rules and guidance, Mike advises the firm’s consumer finance clients on regulatory compliance matters.

Mike’s consumer finance practice blends both mortgage and non-mortgage lending and draws on his broad portfolio of CFPB work. His core areas of focus include unfair, deceptive, or abusive acts or practices (UDAAP); mortgage origination and consumer lending, particularly issues involving Real Estate Settlement Procedures Act (RESPA) section 8 and the Truth in Lending Act (TILA) loan originator compensation rules; regulations involving innovation, technology, and digital marketing tools; small-dollar lending; deposits; and debt collection.

Mike was one of the original members of the CFPB’s Office of Regulations, joining the agency in September 2011 just weeks after it opened its doors. He helped grow the CFPB from a startup to a mature organization, serving as senior counsel through January 2024—a tenure that left him with a deeply nuanced perspective on the agency’s policymaking, operations, leadership, and approaches to rule-writing and regulatory interpretation. The CFPB relies on an interdisciplinary approach unusual among federal agencies, where the regulatory attorneys work together with economists and market analysts to develop its policies and regulations. The experience left Mike with an appreciation for the real-world impact of agency regulations and guidance, which allows him to take a holistic view of clients’ legal needs and business goals. Serving under multiple presidential administrations with differing agendas also shaped Mike’s pragmatic approach and taught him to consider matters through multiple lenses.

After joining Husch Blackwell in February 2024 to help the Consumer Financial Services team continue to build a national brand, Mike now shares his extensive insight with firm clients. Clients appreciate his ability to articulate his perspective as a CFPB founder and longtime regulator while fully playing for their team. In many cases, he helped draft the rules in question or provided guidance on the same issues while at the agency to industry stakeholders, other federal and state regulators, and CFPB colleagues leading investigations and examinations.  Mike uses this inside perspective to sharpen the advice and counsel he provides to firm clients. Known as both thoughtful and thorough, Mike digs deep into legal details while also keeping the client’s broader business picture front and center.

Industry

Services

Recognition

  • Director’s Mission Achievement Award (CFPB’s highest honor), 2016, 2021
  • CFPB Superior Achievement Award, 2017

Education

  • J.D., George Washington University Law School
    • with honors
    • The George Washington Law Review
  • B.A., University of Pennsylvania
    • magna cum laude
    • student government president

Admissions

  • District of Columbia
2024 Pro Bono Contributor
Experience
  • Spearheaded the CFPB's RESPA section 8 regulatory work, including leading the teams that drafted the 2023 RESPA Advisory Opinion on digital mortgage comparison-shopping tools, the 2020 RESPA Frequently Asked Questions guidance, and the 2019 No-Action Letter (NAL) related to housing counseling funding.
  • Led the rulemaking team for the CFPB's 2024 Nonsufficient Funds Fees proposal.
  • Took the pen or collaborated on drafting the CFPB's policy statements on abusiveness authority and served more generally as an internal thought leader on UDAAP issues.
  • Co-led the 2021 interim final rule (IFR) regarding evictions and the Fair Debt Collection Practices Act (FDCPA) and served as team member for two 2020 FDCPA rulemakings.
  • Core team member for CFPB's 2017 Small Dollar rulemaking (a five-year process).
  • Substantial contributor to the CFPB's 2013 Loan Originator Compensation Rule and TILA-RESPA Integrated Disclosure (TRID) Rule.
  • Routinely provided legal and strategic advice to internal CFPB stakeholders and guidance to external stakeholders navigating regulatory issues in enforcement, supervisory, compliance, or policy contexts. This guidance work entailed answering hundreds of industry stakeholder inquiries, consulting with CFPB investigation and examination teams, and advising state and federal regulators on a plethora of regulatory issues.
  • Helped shape the CFPB's approach to innovation by collaborating with the Office of Innovation to evaluate requests for NALs and Trial Disclosure Program waivers.
Legal Updates | December 19, 2024
CFPB Finalizes Rule on Residential PACE Loans
Legal Updates | March 18, 2024
CFPB Targets Mortgage Closing Costs as Junk Fees
Outside the Office

With two elementary-school-aged daughters, Mike and his wife enjoy family time and outings throughout the DC area. Summer or winter breaks often find them at the beach in Delaware, or in Maine or Florida for longer vacations.

Mike also enjoys playing tennis and golf and learning acoustic guitar. A sports fan, he loves watching basketball and baseball. Originally from the New York City area, Mike still cheers for the New York Mets in spite of the nearly 40-year drought since their last title.

Mike is a political junkie and 80s/90s pop culture guru. A proud Generation Xer, Mike also sold pizza and hot dogs at Woodstock 1999 and somehow managed to survive the unrest that turned the festival into an unfortunate cultural milestone.

Community Leadership

Mike has been active with The George Washington University Law School’s alumni association and reunion committees, as well as the Penn Club for DC-area University of Pennsylvania graduates. He is an involved member of the Washington Hebrew Congregation. Mike also supports the D.C. Legal Aid Society, whom he represented pro bono while at his prior law firm.