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Anthony Jacob Soss - Mortgage Loan Originator Violations Consent Order

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Filed July 3rd, 2025
Detected February 12th, 2026
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Summary

The Massachusetts Division of Banks has issued a consent order against Anthony Jacob Soss for mortgage loan originator violations. Soss agreed to the order without admitting guilt, waiving his right to a hearing. The order stems from alleged violations related to continuing education requirements and adherence to the Nationwide Multi State Licensing System & Registry (NMLS) Rules of Conduct.

What changed

This consent order, dated July 3, 2025, addresses alleged violations by Anthony Jacob Soss concerning his mortgage loan originator license in Massachusetts. Soss has waived his right to a hearing and agreed to the order without admitting fault. The Division of Banks asserts jurisdiction over mortgage loan originators and notes Soss's history of licenses, including recent renewals and applications. The core of the issue appears to be related to compliance with the Secure and Fair Enforcement for Mortgage Licensing Act (SAFE Act) and the NMLS Rules of Conduct regarding pre-licensing and continuing education.

While the order does not specify immediate penalties or a compliance deadline for Soss, it signifies an enforcement action by the Division of Banks. Regulated entities and individuals in the mortgage lending sector should review the NMLS Rules of Conduct and ensure strict adherence to continuing education requirements to avoid similar administrative actions. The Division's authority to investigate alleged violations of these rules is clearly outlined, suggesting potential consequences for non-compliance in future cases.

What to do next

  1. Review NMLS Rules of Conduct for mortgage loan originators.
  2. Ensure all continuing education requirements are met and properly documented.
  3. Verify adherence to licensing renewal procedures.

Source document (simplified)

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Consent Order

Consent Order Consent Order Anthony Jacob Soss

| Date: | 07/03/2025 |
| --- | --- |
| Organization: | Division of Banks |
| Docket Number: | 2025-010 |
| Location: | Boston, Massachusetts |
Whereas, Anthony Jacob Soss (Soss), has been advised of his right to Notice and Hearing pursuant to M.G.L. chapter 30A, sections 10 and 11, and having waived those rights, entered into a Stipulation and Consent to the Issuance of a Consent Order (Consent Agreement) with representatives of the Division of Banks (Division) dated July 3, 2025, whereby, solely for the purpose of settling this matter and without admitting any allegations or implications of fact or the existence of any violations of applicable state and federal statutes or rules, Soss agrees to the issuance of this Consent Order by the Commissioner of Banks (Commissioner);

Whereas, the Division has jurisdiction over the licensing and regulation of persons engaged in the business of a mortgage loan originator in Massachusetts pursuant to M.G.L. chapter 255F, section 2 and its implementing regulations 209 Code of Massachusetts Regulations (C.M.R.) 41.00 et seq.;

Whereas, Soss was previously licensed by the Commissioner as a mortgage loan originator under M.G.L. chapter 255F, section 2.  According to records maintained on file with the Division and the Nationwide Multi State Licensing System & Registry (NMLS), the Commissioner initially issued a mortgage loan originator license, license number MLO130763, to Soss to engage in the business of a mortgage loan originator on or about March 21, 2012, which expired on January 1, 2017 for failure to renew;

Whereas, according to records maintained on file with the Division and the Nationwide Multi State Licensing System & Registry (NMLS), the Commissioner issued a mortgage loan originator license again to Soss on March 25, 2019 which expired on January 1, 2023 for failure to renew;

Whereas, according to records maintained on file with the Division and the Nationwide Multi State Licensing System & Registry (NMLS), Soss applied again for a mortgage loan originator license from the Commissioner on May 5, 2025;

Whereas, Soss is employed by Massachusetts licensed Mortgage Broker and Mortgage Lender CrossCountry Mortgage (CrossCountry);

Whereas, the Secure and Fair Enforcement for Mortgage Licensing Act (SAFE Act) requires that state-licensed mortgage loan originators complete pre-licensing (PE) and continuing education (CE) courses as a condition to be licensed and also requires that all education completed as a condition for state licensure be approved by the NMLS;

Whereas, the NMLS has established a Rules of Conduct (ROC) to further ensure students meet the education requirements of the SAFE Act and NMLS Education Students completing PE and CE courses agree to abide by the ROC which state, in relevant part: ...

  1. I will not divulge my login ID or password or other login credential(s) to another individual for any online course.
  2. I will not seek or attempt to seek outside assistance to complete the course.
  3. I will not give or attempt to give assistance to any person who is registered to take an NMLS approved pre-licensure or continuing education course. ...

  4. I will not engage in any conduct that is dishonest, fraudulent, or would adversely impact the integrity of the course(s) I am completing and the conditions for which I am seeking licensure or renewal of licensure.; ...
    Whereas, on or about February 4, 2010, the Mortgage Testing and Education Board (MTEB), acting on behalf of the State Regulatory Registry (SRR) and the NMLS approved Administrative Action Procedures for SAFE Testing and Education Requirements, which extends administrative authority to the MTEB/SRR to investigate alleged violations of the NMLS ROC, which apply to all SAFE MLO test takers and education students;

Whereas, on or about September 5, 2024, and based upon the aforementioned information in the Suspicious Report, the SRR Investigative Review Committee (IRC) sent CrossCountry Mortgage a “Notice of Investigation” notifying the company of the investigation into the suspected violation of the NMLS ROC by CrossCountry Employees including Soss and his rights associated with the investigation to include the opportunity to respond to the suspected violation;

Whereas, on or about October 30, 2024, the IRC sent CrossCountry a “Notice of Determination” notifying the company that the SRR completed the investigation and determined that Soss violated the NMLS ROC.  The Notice of Determination also informed CrossCountry of Soss’ rights associated with the investigation, and included the opportunity to appeal the IRC’s determination that he violated the NMLS ROC;

Whereas, based upon a review and investigation of information provided to the Division, Soss violated the ROC;

Whereas, the violations of the ROC, as described above, are evidence that Soss has failed to exhibit the character, reputation, integrity, and general fitness such as to command the confidence of the community that would be required in order to hold a mortgage loan originator license pursuant to Massachusetts General Laws chapter 255F, section 4(a)(iii) and the Division’s regulation 209 C.M.R. 41.04(2)(d);

Whereas, the parties now seek to resolve by mutual agreement the matters identified above.

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Order

Now come the parties in the above-captioned matter, the Division and Soss, and stipulate and agree as follows:

  1. Immediately upon the effective date of this Consent Order, Soss will submit a withdrawal of his mortgage loan originator license application through the NMLS and will refrain from negotiating, soliciting, arranging, providing, or accepting any Massachusetts residential mortgage loan application, or assisting any consumer in completing such application, or otherwise operate as a mortgage loan originator, as that term is defined under M.G.L. chapter 255F, section
  2. Soss will refrain from submitting an application for a mortgage loan originator license issued by the Commissioner for a period of three (3) months from the effective date of this Consent Order (the Term).
  3. Soss shall remit one thousand dollars ($1,000.00) upon execution of this Consent Order.  The funds shall be payable by cashier’s check to the “Division of Banks Settlement Trust” and mailed to the Division of Banks, Attn: Enforcement Unit, One Federal Street, Suite 710, Boston, Massachusetts 02110.
  4. Soss is prohibited from taking an ownership position in any additional entity licensed and regulated by the Division, and from participating, in any manner, in the responsibilities or duties of a control person of any additional other licensed or chartered entity for a period of three (3) months.  For the purposes of this Consent Order, “control” shall be defined as the power, directly or indirectly, to direct the management or policies of a company, whether through ownership of securities, by contract, or otherwise.  To the extent that Soss wishes to resume or engage in business as a licensed mortgage loan originator at the expiration of the Term, Soss shall be required to submit a completed application to obtain the relevant license from the Commissioner.  Further, for the next three (3) years from the date of this Consent Order, on an annual basis, Soss shall demonstrate and attest that he completed eight (8) hours of SAFE Mortgage Loan Originator Training, and one (1) hour Massachusetts SAFE Mortgage Loan Originator Training, or their updated equivalents, in person. For the subsequent two (2) years after completing in-person training, Soss shall demonstrate and attest that he completed eight (8) hours of SAFE Mortgage Loan Originator Training, and one (1) hour Massachusetts SAFE Mortgage Loan Originator Training, or their updated equivalents, either in-person or via an online course where the student’s identity and participation is verified by an instructor and/ or administrator.  Such training must be approved by the NMLS and proof of compliance shall be provided to the Division.  The Commissioner shall have all of the discretion set forth within M.G.L. chapter 255F, section 4 and the Division’s implementing regulation 209 C.M.R. 41.00 et seq. in determining whether to issue a license to Soss to conduct the licensed business; provided, however, that any such application shall not be denied because Soss entered into or agreed to the issuance of this  Consent Order.
  5. The provisions of this Consent Order shall not limit, estop, or otherwise prevent any other state agency or department from taking any other action affecting Soss.
  6. In accordance with the terms of the Consent Agreement entered by Soss and the Commissioner, Soss has waived all rights of appeal that he may have relative to this Consent Order or any of its provisions.
  7. The provisions of this Consent Order shall remain effective and enforceable except to the extent that, and until such time as, any provisions of this Consent Order shall have been modified, terminated, suspended, or set aside by the Commissioner or upon an order of a court of competent jurisdiction.
  8. This Consent Order and the Consent Agreement are the complete documents representing the resolution of this matter. There are no other agreements, promises, representations, or warranties other than those set forth in this Consent Order and the Consent Agreement. By Order and Direction of the Commissioner of Banks:

Dated at Boston, Massachusetts, this 3rd day of July, 2025.

By: Mary L. Gallagher

Commissioner of Banks

Commonwealth of Massachusetts

Downloads

Open PDF file, 128.98 KB, Anthony Jacob Soss Consent Order (English, PDF 128.98 KB)

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Classification

Agency
Various State Agencies
Filed
July 3rd, 2025
Instrument
Enforcement
Legal weight
Binding
Stage
Final
Change scope
Substantive

Who this affects

Applies to
Financial advisers
Geographic scope
State (Massachusetts)

Taxonomy

Primary area
Consumer Finance
Operational domain
Compliance
Topics
Licensing Professional Conduct Continuing Education

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