comment letter

Joint Trades Second Extension Request for 1033 NPRM

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Dear Director Chopra:

The undersigned organizations respectfully request that the Consumer Financial Protection Bureau (“CFPB”) provide an extension of the comment period of the notice of proposed rulemaking on Personal Financial Data Rights (NPRM).

 We are working diligently to provide constructive and informed responses within the current comment period, however, this rule would establish a brand new regulatory scheme with significant implications for consumers and market participants. Therefore, it is important that we have sufficient time to review the proposal and give full consideration to its potential impact on the consumer financial data sharing ecosystem.

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