Comment Letters

  • May 9, 2019
    Director Kathy Kraninger Consumer Financial Protection Bureau 1700 G. St. N.W. Washington, DC 20552 Director Kraninger, I write to commend you on the Bureau’s recent changes to its Civil Investigative Demand (CID) policies requiring CIDs to provide more information about the conduct under investigation. CBA is pleased the Bureau opened a request for information on this topic last year and thanks...
  • May 7, 2019
    Robert E. Feldman, Executive Secretary Attention: Comments Federal Deposit Insurance Corporation 550 17th Street NW Washington, DC 20429 Re: RIN 3064-AE94 Email: comments@FDIC.gov Re: Advance Notice of Proposed Rulemaking Regarding Brokered Deposits and Interest Rate Restrictions/ RIN 3064-AE94 Dear Mr. Feldman: The Consumer Bankers Association (“CBA” or “the Association”) appreciates the...
  • May 6, 2019
    May 6, 2019 Robert E. Feldman, Executive Secretary Federal Deposit Insurance Corporation 550 17th Street NW, Washington, DC 20429 Attention: Comments RE: Notice of Proposed Rulemaking: Joint Ownership Deposit Accounts 12 CFR §330 [RIN 3064–AF04]1 Dear Mr. Feldman: The American Bankers Association, The Bank Policy Institute, and the Consumer Bankers Association (collectively, the “Associations”)2...
  • May 1, 2019
    May 1, 2019 The Honorable Roger Wicker Chairman Committee on Commerce, Science, & Transportation 512 Dirksen Senate Office Building U.S. Senate Washington, D.C. 20510 The Honorable Maria Cantwell Ranking Member Committee on Commerce, Science, & Transportation 512 Dirksen Senate Office Building U.S. Senate Washington, D.C. 20510 Dear Chairman Wicker and Ranking Member Cantwell: On behalf...
  • April 30, 2019
    April 30, 2019 The Honorable Gregory Meeks The Honorable Blaine Luetkemeyer Chairman Ranking Member Subcommittee on Consumer Protection Subcommittee on Consumer Protection and Financial Institutions and Financial Institutions 2310 Rayburn House Office Building 2230 Rayburn House Office Building Washington, D.C. 20515 Washington, D.C. 20515 Dear Chairman Meeks and Ranking Member Luetkemeyer: The...
  • April 30, 2019
    April 30, 2019 The Honorable Mike Crapo Chairman Committee on Banking, Housing, and Urban Affairs 534 Dirksen Senate Office Building U.S. Senate Washington, D.C. 20510 The Honorable Sherrod Brown Ranking Member Committee on Banking, Housing, and Urban Affairs 534 Dirksen Senate Office Building U.S. Senate Washington, D.C. 20510 Dear Chairman Crapo and Ranking Member Brown: On behalf of the...
  • April 30, 2019
    Dear Chairman Doyle and Ranking Member Latta: The undersigned organizations, which represent a diverse group of industry sectors throughout the economy, write regarding the Communications and Technology Subcommittee’s upcoming hearing on the problem of illegal automated calls. Thank you for scheduling this important hearing. We strongly support and share the goal of thwarting unlawful actors that...
  • April 10, 2019
    April 10, 2019 The Honorable Nydia M. Velázquez Chairwoman Committee on Small Business U.S. House of Representatives 2302 Rayburn House Office Building Washington, D.C. 20515 The Honorable Steve Chabot Ranking Member Committee on Small Business U.S. House of Representatives 2371 Rayburn House Office Building Washington, D.C. 20515 The Honorable Andy Kim Chairman Subcommittee on Economic Growth,...
  • April 9, 2019
    The Honorable Maxine Waters Chairwoman Committee on Financial Services 2129 Rayburn House Office Building Washington, D.C. 20515 The Honorable Patrick McHenry Ranking Member Committee on Financial Services 2004 Rayburn House Office Building Washington, D.C. 20515 Dear Chairwoman Waters and Ranking Member McHenry: The Consumer Bankers Association (CBA) appreciates the committee’s review of the...
  • March 18, 2019
    The Honorable Kathleen Kraninger Director Consumer Financial Protection Bureau 1700 G Street, NW Washington, D.C., 20552 RE: Compliance Date of Payday, Vehicle Title, and Certain High-Cost Installment Loans Rule - Docket No. CFPB-2019-0007 Dear Director Kraninger: The Consumer Bankers Association (“CBA”) appreciates the opportunity to provide our comments in response to the Consumer Financial...

Pages