…to harassment and exploitation. Download PDF All comments submitted by or on behalf of NACA: Final Debt Collection Comments NACA CFPB Debt Collection Comments Debt Collection Coalition Comments FDCPA Privacy…
…unfairly penalized when they obtain justice for harm caused by bad actors by creating an above-the-line deduction for consumers who recover their legal fees after winning civil claims. Download PDF…
…Federal Trade Commission urging action in response to Meta Platforms, Inc.’s announcement that it would begin using consumer data from AI chatbot interactions to personalize advertising and content. Download PDF…
…2013 Disparate Impact Rule. HUD’s proposal would seriously weaken disparate impact liability by making it harder for consumers to bring cases and easier for lenders to escape liability. Download PDF…
…on a letter to Congress identifying three significant flaws with the discussion draft of the American Privacy Rights Act and how to resolve them to strengthen the bill. Download PDF…
…organizations on letter to the Consumer Financial Protection Bureau asking the Bureau to ensure Property Assessed Clean Energy (PACE) loans adhere to the Truth in Lending Act (TILA). Download PDF…
…leaders for scheduling a vote on H.R. 3621 Comprehensive CREDIT Act of 2020, which would overhaul the credit reporting system and give consumers more control over their data. Download PDF…

NACA Submits Comment in Support of CFPB’s Proposed Rule to Eliminate Medical Debt from Credit Reports
…comment to the Consumer Financial Protection Bureau in response to its Notice of Proposed Rulemaking on Prohibition on Creditors and Consumer Reporting Agencies Concerning Medical Information (Regulation V). Download PDF…
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