UDAAP Frenzy: The CFPB’s Focus on Data and Why it Matters to the ARM Industry
CFPB Releases Reg F Guidance
CFPB Encourages States to Police Credit Reporting; Targets Medical Debt, Tenant Screenings
Hunstein Copycat Suit Fails Where Data Sent to Vendor is Secure
CRC Comments on CA DFPI's Proposed Complaints and Inquiries Regulation
CFPB Says Convenience and Pay-to-Pay Fees are Prohibited Junk Fees
Washington Court Sides with Hunstein Copycat; Rejects Main Industry Defenses
CFPB Focuses on Innovation; Creates New Office and Hints at Future Rulemaking
CFPB Says ECOA Applies to an Accounts Full Life Cycle, including Collection Procedures
CFPB Claims Oversight Over More Entities Including Fintechs; Says it Will Publish Supervisory Determinations
TransUnion Fires Back, Says it Will Fight CFPB Suit
Next on the CFPB's Firing Line? TransUnion
CFPB Revises Debt Collection Exam Procedure
CFPB Scrutinizes Auto Lending, Repossessions, and Collections
Three Reasons Why a Risk and Gap Assessment Should be in Your 2022 Plan
Big change - like complying with sweeping Regulation F requirements or adding new tech - brings new, risky gaps in your collections compliance procedures. To avoid surging lawsuit, regulatory, and revenue risk and find those gaps, creditors and agencies need the best tool for the job: a risk and gap assessment.
Consumer Relations Consortium Comments on NYDFS Proposed Alterations to Debt Collection Rule
FCC Chairwoman Rosenworcel Says Ringless Voicemails Should Be Prohibited Without Prior Consent
Nevada to Transition Collection Agency and Manager Licenses to NMLS
Hunstein: Case Moves Forward; Consumer Files Final Brief Before Case is Reheard
3 Things All Collections Professionals Need to Know about the No Surprises Act