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Fraud & Cybersecurity
CBA supports strong national data protection and consumer notification standards with effective enforcement provisions that are applicable to any party with access to important consumer financial information. CBA members are already subject to robust data protection and notification standards and these requirements must be recognized. Inconsistent state laws and regulations should be preempted in favor of strong Federal data protection and notification standards. CBA firmly holds that all parties must share in protecting consumers and, as such, the costs of a data breach should ultimately be borne by the entity that incurs the breach. Protecting consumer data is a shared responsibility, and merchants must have the same tough data security standards as financial institutions to thwart hackers as well as the ability to accept chip-based cards.
- March 10, 2017March 10, 2017 The Honorable Scott Tipton The Honorable Randy Hultgren U.S. House of Representatives U.S. House of Representatives 218 Cannon House Office Building 2455 Rayburn House Office Building Washington, DC 20515 Washington, DC 20515 The Honorable Patrick McHenry The Honorable David Scott U.S. House of Representatives U.S. House of Representatives 2334 Rayburn House Office Building 225...
- February 21, 2017On Tuesday, February 21, 2017, CBA submitted comment on the CFPB’s Request for Information on Consumer Access to Financial Data. CBA supported the innovation and implementation of data aggregation services, and the ability of consumers to access personal data in order to efficiently manage finances. “If implemented correctly, we believe data aggregation can be a useful consumer tool to protect...February 21, 2017February 21, 2017 Submitted Electronically: FederalRegisterComments@cfpb.gov Ms. Monica Jackson Office of the Executive Secretary Consumer Financial Protection Bureau 1700 G Street, NW Washington, DC 20552 Re: Docket No.: CFPB-2016-0048 / Document No.: 2016-28086 - Request for Information Regarding Consumer Access to Financial Records Dear Ms. Jackson, The Consumer Bankers Association (“CBA”) [1...January 13, 2017On Friday, January 13, 2017, in a letter to the OCC, Rep. Gregory Meeks (D-NY) with Reps. Tony Cardenas (D-CA), Gwen Moore (D-WI), Donald Payne, Jr. (D-NJ), Cedric Richmond (D-LA), and Terri Sewell (D-AL), asked the agency include measurable and enforceable financial inclusion requirements for fintech firms receiving national charters, similar to those required of banks under the Community...January 5, 2017On Thursday, January 5, 2017, the OCC issued its Fall Semiannual Risk Perspective , covering January to June of 2016. As in past reports, strategic, credit, operational and compliance risk were top concerns. However, leveraged lending – a top concern in the past – has diminished in focus, while governance over sales practices rose to the level of a key risk area. Key findings include: Strategic...November 4, 2016November 4, 2016 The Honorable Scott Tipton The Honorable Terri Sewell U.S. House of Representatives U.S. House of Representatives 218 Cannon House Office Building 1133 Longworth House Office Building Washington, DC 20515 Washington, DC 20515 The Honorable Randy Hultgren U.S. House of Representatives 2455 Rayburn House Office Building Washington, DC 20515 Dear Representatives Tipton, Sewell and...October 25, 2016On Tuesday, October 25, 2016, the Federal Reserve Board’s Secure Payments Taskforce (Taskforce) asked for comments on “its efforts to enhance payment identity management, data protection, and information sharing related to payments risk and fraud.” To receive feedback, the Taskforce created an online survey for interested parties to fill out by November 8, 2016.October 24, 2016October 24, 2016 Via Electronic Mail Ms. Monica Jackson Office of the Executive Secretary Consumer Financial Protection Bureau 1275 First Street NE Washington, DC 20002 Docket No. CFPB–2016–0039, RIN 3170–AA63 Re: Comments in Response to the Notice of Proposed Rulemaking – Amendments Relating to Disclosure of Records and Information. Ladies and Gentlemen: The Clearing House Association L.L.C.,...October 4, 2016On Tuesday, October 4, 2016, the American Banker reported on a memo sent by the Office of the Inspector General (OIG) to the CFPB about the Bureau’s 2016 “Major Management Challenges,” which, according to the memo , included: Ensuring an effective information security program Ensuring comprehensive policies and procedures are in place and followed Maturing the human capital program Managing and...September 22, 2016On Thursday, September 22, 2016, Treasury Secretary Jack Lew testified before the House Financial Services Committee for the sixth Annual Report of the Financial Stability Oversight Council (FSOC). Chairman Jeb Hensarling (R-TX) remained critical of FSOC’s ability to identify risks to the financial system, especially regarding housing finance reform, bank consolidation and the unsustainable...