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CFPB States That it Did Not Scrap No-Action Letter and Compliance Assistance Sandbox Programs in Connection with its Overhaul of its Office of Innovation and Operation Catalyst
9 June 2022
CFPB Says ECOA Applies to an Accounts Full Life Cycle, including Collection Procedures
10 May 2022
Why the CFPB’s Expansion of its UDAAP Authority to Target Discrimination Requires Rulemaking
5 May 2022
Is Express Revocation Necessary? District Court Finds Genuine Dispute of Material Fact Regarding TCPA Consent, Absent Evidence of Express Revocation
3 May 2022
NY Federal Court Blocks Retroactive Judgment Interest Law
2 May 2022
CFPB Claims Oversight Over More Entities Including Fintechs; Says it Will Publish Supervisory Determinations
26 April 2022
3 Under-the-Radar Strategies to Reduce Friction in Authentication for Digital Debt Collection
25 April 2022
Credit Eco to Go: Detecting and Remediating Risk in Real Time
21 April 2022
TransUnion Fires Back, Says it Will Fight CFPB Suit
13 April 2022
3 Compliance Myths about Email for Digital Debt Collections/Recovery
7 April 2022
DC Protects Consumers From Unjust Debt Collection Practices Amendment Act of 2021
4 April 2022
CFPB Says its UDAAP Authority Includes Ability to Review for Discrimination; Updates UDAAP Exam Procedure
22 March 2022
Recycled Number Blues: Good Faith Defense Rejected Again as Liberty University Trapped in TCPA Suit
17 March 2022
CFPB Revises Debt Collection Exam Procedure
14 March 2022
CFPB Scrutinizes Auto Lending, Repossessions, and Collections
8 March 2022
Court Finds Text Messages Do Not Qualify As Artificial or Prerecorded Voice Messages Under the TCPA
7 March 2022
The Correct Answers to Questions about the Limited Content Message and Model Validation Notice [Video]
3 March 2022
Amendments to the GLBA Safeguards Rule: What’s New, What’s Not, and What’s Hot for Non-Banking Financial Institutions
1 March 2022
Three Reasons Why a Risk and Gap Assessment Should be in Your 2022 Plan
28 February 2022
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
17 February 2022