MRAPLA Home » Topics » Compliance Masters Group (Members Only) » MRAPLA This topic has 1 reply, 2 voices, and was last updated 11 years, 6 months ago by jholzknecht. Viewing 2 posts - 1 through 2 (of 2 total) Author Posts February 6, 2013 at 10:21 pm EST #2626 kmeadeParticipant Is there a restriction, on a loan if section 32 or sections 35 are applicable, that prohibiting financing single premium credit life insurance? April 29, 2013 at 11:20 pm EDT #3092 jholzknechtKeymaster Section 12 CFR 1026.36(i) prohibits financing single premium credit insurance for closed-end consumer credit transactions secured by a dwelling and for a home equity line of credit secured by a consumer’s principal dwelling. Author Posts Viewing 2 posts - 1 through 2 (of 2 total) You must be logged in to reply to this topic. Log In Username: Password: Keep me signed in Log In