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CFPB Fall 2023 Rulemaking Agenda Indicates Imminent Issuance of Final Credit Card Late Fees Rule and Proposed Rules on Overdraft and NSF Fees
14 December 2023
CFPB Proposes a Rule to Regulate Fintech Firms Like Banks
20 November 2023
CFPB Outlines Rulemaking Plan to Dramatically Alter Decades of FCRA Requirements for Everyone in the Consumer Data Ecosystem
25 September 2023
FCC Proposes New Rules for Revocation Under the TCPA
24 July 2023
A Closer Look at the Gramm-Leach-Bliley Act (GLBA): Updates to the Safeguards Rule
26 June 2023
Credit Eco to Go: Jumping Head First into 1033 [Podcast]
1 May 2023
CRC to DFPI: Drop Personal Liability From Proposal
10 April 2023
CRC to CFPB: Scrap the Shame List
3 April 2023
FCC Considering New Requirements for Blocking Text Messages and New Limits on Text Message Senders
14 March 2023
The Two New Yorks and Their Proposed Debt Collection Rules
22 February 2023
CRC Comments on CFPB's Personal Financial Data Rights Proposal
14 February 2023
CFPB Proposes Registry for Supervised Nonbanks Using Form Contracts Containing Arbitration Provisions, Waivers, or Other Limits
17 January 2023
CFPB Publishes Notice of Proposed Rulemaking Signaling Intent to Create Registry of Repeat Offenders
22 December 2022
CFPB Gives Public the Ability to Petition for Rulemaking
22 February 2022
Consumer Relations Consortium Comments on NYDFS Proposed Alterations to Debt Collection Rule
17 February 2022
Colorado Clarifies Intersection Between Regulation F and State Disclosure Requirement
21 December 2021
CA DFPI Issues Draft Rules to Implement CCFPL Provisions on Complaint Handling, UDAAP Definition for Commercial Transactions
24 August 2021
CFPB Finalizes Regulation F Implementation Date: What Your Organization Needs To Consider in Order To Be “Reg F Ready”
3 August 2021
BREAKING: CFPB Confirms Reg F Will Take Effect on November 30, 2021
30 July 2021
California DFPI Issues Notice of Modifications to Proposed Debt Collection Licensing Act; Allows 17 days to comment
24 June 2021