Comment Letters

  • January 23, 2015
    Dear Chairman Burgess and Ranking Member Schakowsky: Thank you for holding a timely hearing entitled, “What are the Elements of Sound Data Breach Legislation?” in the Subcommittee on Commerce, Manufacturing and Trade. As the 114th Congress engages in public debate on the important issue of data security, the undersigned financial trade associations are writing this letter for the hearing record...
  • December 18, 2014
    By electronic delivery Federal Docket Management System Office 4800 Mark Center Drive 2nd Floor East Tower, Suite 02G09 Alexandria, VA 22350-3100 Proposed changes to the Military Lending Act Regulation Department of Defense RIN 0790-AJ10 79 Federal Register 58601 (September 29, 2014) Dear Sir or Madam: The Associations1 appreciate the opportunity to comment on the Department of Defense (...
  • December 15, 2014
    December 15, 2014 Consumer Financial Protection Bureau Office of the Executive Secretary 1700 G Street NW Washington, DC 20552 Re: CFPB Policy on No-Action Letters Docket No. CFPB–2014–0025 Responsible Bureau Staff: The American Bankers Association1 , the American Bankers Insurance Association2 and the Consumer Bankers Association3 (together the Associations) provide these comments in response to...
  • December 8, 2014
    Monica Jackson Office of the Executive Secretary Consumer Financial Protection Bureau 1700 G St., NW Washington, DC 20552 RE: Defining Larger Participants of the Automobile Financing Market and Defining Certain Automobile Leasing Activity as a Financial Product or Service (Docket No. CFPB‐2014‐0024) Ladies and Gentlemen: The Consumer Bankers Association (“CBA”) appreciates the opportunity to...
  • December 8, 2014
    COMMENTS IN SUPPORT OF PETITION FOR EXEMPTION OF THE AMERICAN BANKERS ASSOCIATION I. Consumer Bankers Association Supports American Banker Association Petition for Exemption The Consumer Bankers Association (“CBA”) offers support for the American Bankers Association’s (“ABA”) Petition for Exemption (“ABA Petition”) that asks the Federal Communications Commission (“Commission” or “FCC”) to create...
  • November 12, 2014
    Dear Leaders Reid and McConnell, Speaker Boehner and Leader Pelosi: On November 6, 2014, a group of organizations representing elements of the retail industry wrote to you regarding recent breaches of consumer information. Their letter, unfortunately, is inaccurate and misleading, and recommends solutions that leave consumers vulnerable to enhanced risk of data breaches. The undersigned financial...
  • November 10, 2014
    Re: File Error Rate Clarification for the Request for Comment on Proposed Amendments to Regulation C, Implementing the Home Mortgage Disclosure Act, Docket No. CFPB-2014-0019 Dear Ms. Jackson: The Consumer Bankers Association (“CBA”) and American Bankers Association (“ABA”) would like to clarify the “File Error Rate” section of our previously submitted joint trade response (“Joint Letter”) to the...
  • November 10, 2014
    Attn: Robert E. Feldman, Executive Secretary Attention: Comments Federal Deposit Insurance Corporation Robert deV. Frierson, Secretary Board of Governors of the Federal Reserve System (Docket No. OP-1497) Legislative and Regulatory Activities Division Office of the Comptroller of the Currency (Docket ID OCC-2014-0021) Re: Community Reinvestment Act; Interagency Questions and Answers Regarding...
  • October 29, 2014
    Ms. Monica Jackson Office of the Executive Secretary
 Consumer Financial Protection Bureau 1700 G Street NW Washington, D.C. 20552 Re: Request for Comment on Proposed Amendments to Regulation C to Implement Amendments to Home Mortgage Disclosure Act, Docket No. CFPB-2014-0019 Dear Ms. Jackson: The Consumer Bankers Association (“CBA”), [1] American Bankers Association (“ABA”), [2] Financial...
  • October 29, 2014
    Re: Request for Comment on Proposed Amendments to Regulation C to Implement Amendments to Home Mortgage Disclosure Act, Docket No. CFPB-2014-0019 Dear Ms. Jackson: The Consumer Bankers Association (“CBA”), American Bankers Association (“ABA”), Financial Services Roundtable (“FSR”), Housing Policy Council (“HPC”), and Mortgage Bankers Association (“MBA”), Consumer Mortgage Coalition (together “the...

Pages