Please will you make it a point to let this agency know that. That is information they may not be aware of. Thank you much for informing everyone of that. Please state that in several areas. You will help a lot of people if that practice is stopped.
Welcome to RegulationRoom, Daves, and thank you for your comment. The practice you mention has been brought up by other commenters as well. Given your experience with credit reports, do you have suggestions for rules CFPB could propose to help with this problem?
Welcome back, Daves. Could you tell us more about the idea of requiring a series of handshakes? CFPB is interested in what information needs to be given to consumers (see the validation notice send to consumers) and how notices should be sent (see questions about emailing, texting and social media). How do you think the "handshake" communications would best be accomplished?
gmt512
1
Please will you make it a point to let this agency know that. That is information they may not be aware of. Thank you much for informing everyone of that. Please state that in several areas. You will help a lot of people if that practice is stopped.
View this comment in the discussion thread
Moderator
2
Welcome to RegulationRoom, Daves, and thank you for your comment. The practice you mention has been brought up by other commenters as well. Given your experience with credit reports, do you have suggestions for rules CFPB could propose to help with this problem?
View this comment in the discussion thread
Moderator
3
Welcome back, Daves. Could you tell us more about the idea of requiring a series of handshakes? CFPB is interested in what information needs to be given to consumers (see the validation notice send to consumers) and how notices should be sent (see questions about emailing, texting and social media). How do you think the "handshake" communications would best be accomplished?
View this comment in the discussion thread