House Financial Services Committee Considers Amendments to the FDCPA https://t.co/joLGqaAVZj
Eleventh Circuit Refuses to Impose a ‘Least Sophisticated Consumer’ Standard to Discharge Violations https://t.co/FwkJpuXtnq
Third Circuit Doubles Down on §1692f Violations https://t.co/8i2jCiZ9LL
Smith Debnam’s Summer 2017 Enforcement and Compliance Update is now available.
The update highlights recent CFPB and FDIC enforcement actions against banks and other financial services providers.
In this edition of the Enforcement and Compliance Update, we highlight CFPB consent orders against the marketing practices of Consumer Reporting Agencies, CFPB’s continued expansion of meaningful involvement requirements for debt collection law firms, as well as insight into the CFPB’s third-party debt collection survey.
Please click the link below to view. We hope you find this information helpful and informative.
Smith Debnam Summer 2017 Enforcement and Compliance Update