Comment Letters

  • July 13, 2016
    July 13, 2016 By electronic delivery to: www.regulations.gov The Honorable Howard Shelanski Mr. Dominic Mancini Re: Generic Information Collection Plan for “Qualitative Consumer Education and Engagement Information Collections”; Docket No. CFPB-2016-0027-0001, OMB Control No. 3170-0036. Dear Administrator Shelanski and Deputy Administrator Mancini: The American Bankers Association [1] and the...
  • July 12, 2016
    July 12, 2016 The Honorable Richard Shelby The Honorable Sherrod Brown Chairman Ranking Member Banking, Housing & Urban Affairs Committee Banking, Housing & Urban Affairs Committee U.S. Senate U.S. Senate Washington, D.C. 20510 Washington, D.C. 20510 The Honorable Lamar Alexander The Honorable Patty Murray Chairman Ranking Member Health, Education, Labor & Pensions Committee Health,...
  • June 27, 2016
    June 27, 2016 Mr. Robert E. Feldman Executive Secretary Federal Deposit Insurance Corporation 550 17th Street NW Washington, DC 20429 Attention: Comments RE: Notice of Proposed Rulemaking regarding Recordkeeping for Timely Deposit Insurance Determination (12 CFR §370); RIN 3064–AE331 Dear Mr. Feldman: The American Bankers Association, The Clearing House Association, the Consumer Bankers...
  • June 21, 2016
    June 21, 2016 The Honorable Paul Ryan The Honorable Nancy Pelosi Speaker Minority Leader U.S. House of Representatives U.S. House of Representatives Washington, D.C. 20515 Washington, D.C. 20515 Dear Speaker Ryan and Minority Leader Pelosi: On behalf of the Consumer Bankers Association (CBA), I write to express our support for H.R. 5485, the Fiscal Year 2017 Financial Services and General...
  • June 15, 2016
    June 15, 2016 Submitted Electronically: MFSdemonstration@fdic.gov Keith Ernst Associate Director of Consumer Research & Examination Analytics Division of Depositor and Consumer Protection Federal Deposit Insurance Corporation 550 17 th St., NW Washington, DC 20429-9990 RE: FDIC, Financial Institution Letter FIL-32-2016: Request for Comments on Mobile Financial Services Strategies and...
  • June 14, 2016
    June 14, 2016 Chairman Randy Neugebauer Financial Institutions and Consumer Credit Subcommittee House Financial Services Committee U.S. House of Representatives Washington, D.C. 20515 Dear Chairman Neugebauer: On behalf of the Consumer Bankers Association (CBA), I write to express our strong support for H.R. 5465, a bill to repeal Section 1075 of the Dodd-Frank Act. CBA is the voice of the retail...
  • June 10, 2016
    June 10, 2016 Monica Jackson Office of the Executive Secretary Bureau of Consumer Financial Protection 1700 G Street, NW Washington, DC 20552 Re: Request for Information Regarding Student Loan Borrower Communications; Docket No. CFPB-2016-0018 Dear Ms. Jackson, The Consumer Bankers Association (CBA) is pleased to have the opportunity to comment on the Payback Playbook examples provided by the...
  • June 8, 2016
    June 8, 2016 The Honorable Harold Rogers The Honorable Nita M. Lowey Chairman, Committee on Appropriations Ranking Member, Committee on Appropriations U.S. House of Representatives U.S. House of Representatives Washington, D.C. 20515 Washington, D.C. 20515 Dear Chairman Rogers and Ranking Member Lowey: On behalf of the Consumer Bankers Association (CBA), I write to express my support for the...
  • June 6, 2016
    June 6, 2016 Via ECFS Ms. Marlene H. Dortch Secretary Federal Communications Commission 445 12th Street, NW Washington, DC 20554 Re: Request for Comment on Proposed Rule, CG Docket No. 02-278 Dear Ms. Dortch: The American Bankers Association1 and the Consumer Bankers Association2 (the Associations) appreciate the opportunity to submit this comment in response to the Federal Communications...
  • May 31, 2016
    May 31, 2016 Submitted Electronically: innovation@occ.treas.gov The Honorable Thomas J. Curry Comptroller of the Currency Office of the Comptroller of the Currency 4007 th Street, NW Washington, D.C., 20219 Re: Supporting Reasonable Innovation in the Federal Banking System Dear Comptroller Curry, The Consumer Bankers Association (CBA) [1] appreciates the opportunity to provide our comments in...

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