[Federal Register Volume 90, Number 11 (Friday, January 17, 2025)]
[Notices]
[Pages 5831-5833]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2025-01201]
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CONSUMER FINANCIAL PROTECTION BUREAU
[Docket No. CFPB-2025-0004]
Request for Information Regarding Consumer Credit Card Market
AGENCY: Consumer Financial Protection Bureau.
ACTION: Notice and request for information.
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SUMMARY: The Credit Card Accountability Responsibility and Disclosure
Act of 2009 (CARD Act or Act) requires the Consumer Financial
Protection Bureau (CFPB) to conduct a review (Review) of the consumer
credit card market, within the limits of its existing resources
available for reporting purposes. In connection with conducting that
Review, and in accordance with the Act, the CFPB is soliciting
information from the public about a number of aspects of the consumer
credit card market as described further below.
DATES: Comments must be submitted on or before April 17, 2025 to be
assured of consideration.
ADDRESSES: You may submit responsive information and other comments,
identified by the document title and Docket No. CFPB-2025-0004, by any
of the following methods:
Federal eRulemaking Portal: http://www.regulations.gov.
Follow the instructions for submitting comments.
Email: [email protected]. Include
the document title and Docket No. CFPB-2025-0004 in the subject line of
the message.
Mail/Hand Delivery/Courier: Comment Intake, Request for
Information Regarding Consumer Credit Card Market, Consumer Financial
Protection Bureau, c/o Legal Division Docket Manager, 1700 G Street NW,
Washington, DC 20552. Because paper mail in the Washington, DC area and
at the CFPB is subject to delay, commenters are encouraged to submit
comments electronically.
Instructions: The CFPB encourages the early submission of comments.
All submissions should include the agency name and docket number for
this request for information. Please note the number of the topic on
which you are commenting at the top of each response (you do not need
to address all topics.) In general, all comments received will be
posted without change to http://www.regulations.gov. All comments,
including attachments and other supporting materials, will become part
of the public record and subject to public disclosure. Sensitive
personal information, such as account numbers or Social Security
numbers, should not be included. Comments generally will not be edited
to remove any identifying or contact information.
FOR FURTHER INFORMATION CONTACT: Daniel Martinez, Consumer Credit,
Payments, and Deposits Markets Senior
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Program Manager, Division of Research, Markets, and Regulations, at
(202) 435-7700, or [email protected]. If you require this
document in an alternative electronic format, please contact
[email protected].
SUPPLEMENTARY INFORMATION: Section 502(a) of the CARD Act \1\ requires
the CFPB to conduct a review, within the limits of its existing
resources available for reporting purposes, of the consumer credit card
market every two years. To inform that review, section 502(b) instructs
the CFPB to seek public comment.\2\
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\1\ See 15 U.S.C. 1616(a).
\2\ See 15 U.S.C. 1616(b).
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The CFPB's first such review was published in October 2013; the
CFPB's second such review was published in December 2015; the CFPB's
third such review was published in December 2017; the CFPB's fourth
such review was published in August 2019; the CFPB's fifth such review
was published in September 2021; the CFPB's sixth such review was
published in October 2023.\3\ To inform the CFPB's next review, the
CFPB hereby invites members of the public, including consumers, credit
card issuers, industry analysts, consumer groups, and other interested
persons to submit information and other comments relevant to the issues
expressly identified in section 2 below, as well as any information
they believe is relevant to a review of the credit card market.
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\3\ CARD Act Report, http://files.consumerfinance.gov/f/201309_cfpb_card-act-report.pdf; The Consumer Credit Card Market,
available at http://files.consumerfinance.gov/f/201512_cfpb_report-the-consumer-credit-card-market.pdf; The Consumer Credit Card
Market, https://files.consumerfinance.gov/f/documents/cfpb_consumer-credit-card-market-report_2017.pdf; The Consumer Credit Card Market,
https://files.consumerfinance.gov/f/documents/cfpb_consumer-credit-card-market-report_2019.pdf; The Consumer Credit Card Market,
https://files.consumerfinance.gov/f/documents/cfpb_consumer-credit-card-market-report_2021.pdf;
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1. Background: the CARD Act
The CARD Act was signed into law in May 2009.\4\ Passage of the Act
was expressly intended to ``establish fair and transparent practices
related to the extension of credit'' in the credit card market.\5\ To
achieve these agreed-upon purposes, the Act changed the requirements
applicable to credit card practices in a number of significant
respects.\6\
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\4\ The CARD Act's provisions took effect in three stages:
August 2009, February 2010, and October 2011.
\5\ Pub. L. 111-24, 123 Stat. 1734 (2009).
\6\ See CARD Act Report at 10-13, http://files.consumerfinance.gov/f/201309_cfpb_card-act-report.pdf.
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2. Issues on Which the CFPB seeks public comment for its Review
In connection with its pending Review, the CFPB seeks information
from members of the public about how the credit card market is
functioning. The CFPB seeks comments on the experiences of consumers
and credit card issuers in the credit card market and on the overall
health of the credit card market, as outlined in section 502(a) and in
(1) through (7) below. While the CFPB identifies specific topics of
interest below, the CFPB also wants to be alerted to and understand the
information that consumers, credit card issuers, industry analysts,
consumer groups, and other interested persons believe is most relevant
to the CFPB's review of the credit card market, so this list of
subjects should not be viewed as exhaustive. Commenters are encouraged
to address any other aspects of the consumer credit card market that
they believe would be of interest or concern to the CFPB.
Please feel free to comment generally or respond to any or all of
the questions below but please indicate in your comments on which topic
areas or questions you are commenting:
(1) The terms of credit card agreements and the practices of credit
card issuers
a. How have the substantive terms and conditions of credit card
agreements or the length and complexity of such agreements changed over
the past two years?
b. How have issuers changed their pricing, marketing, underwriting,
or other practices?
c. How are the terms of, and practices related to, major
supplementary credit card features (such as credit card rewards,
deferred interest promotions, balance transfers, and cash advances)
evolving? What are the terms of, practices related to, and prevalence
of emerging supplementary credit card features?
d. How have issuers' marketing practices changed since the CFPB
reported on the credit card market in 2023? If so, in what ways?
e. What practices of credit card issuers may uniquely affect
special populations (such as servicemembers and their dependents, low-
and moderate-income consumers, older Americans, and students)? What are
the effects of protections specific to special populations (for
example, consumers with non-prime credit scores)? How are these
changing and what, if any, trends are evolving?
f. How have practices related to collecting on delinquent and
charged-off credit card debt?
g. Has the use of electronic communication (e.g., email or SMS) by
creditors and debt collectors in connection with credit card debt grown
or otherwise evolved? If so, in what ways?
h. How are the practices of for-profit debt settlement companies
changing and what trends are occurring in the debt settlement industry?
How are creditors and non-profit credit counseling agencies responding
to these changes and trends?
(2) The effectiveness of disclosure of terms, fees, and other
expenses of credit card plans
a. How effective are current disclosures of rates, fees, and other
cost terms of credit card accounts in conveying to consumers the costs
of credit card plans?
b. What further improvements in disclosure, if any, would benefit
consumers and what costs would card issuers or others incur in
providing such disclosures?
c. How well are current credit card disclosure rules and practices
adapted to the digital environment? What adaptations to credit card
disclosure regimes in the digital environment would better serve
consumers or reduce industry compliance burden?
(3) The adequacy of protections against unfair or deceptive acts or
practices relating to credit card plans
a. What unfair, deceptive, or abusive acts and practices exist in
the credit card market? How prevalent are these acts and practices and
what effect do they have? With regard to any unfair, deceptive, or
abusive acts and practices that exist in the credit card market, how
might any such conduct be prevented and at what cost?
(4) The cost and availability of consumer credit cards
a. How have the cost and availability of consumer credit cards
(including with respect to non-prime borrowers) changed since the CFPB
reported on the credit card market in 2023? What is responsible for
changes (or absence of changes) in cost and availability? Has the
impact of the CARD Act on cost and availability changed over the past
two years?
b. How, if at all, are the characteristics of consumers with lower
credit scores changing? How are groups of consumers in different score
tiers faring in the market? How do other factors relating to consumer
demographics or financial lives affect consumers' ability to
successfully obtain and use credit cards?
c. How have market trends and issuer practices pertaining to
deferred interest
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evolved since the CFPB's prior Review of the product in 2021?
d. What are the practices and metrics of ``issuers who specialize
in providing credit cards to consumers with lower credit scores? How
are credit card-as-a-service partnerships changing the cost and
availability of credit for consumers?
e. How are consumers' credit needs evolving? How are consumers'
spending patterns changed over time and reflect the demand for credit?
Are non-prime consumers transacting more on essential goods and
services?
f. How are paper statement fees impacting the cost of credit? What
proportion of consumers receive paper statements?
g. How is competition in the consumer credit card market changing?
How has the CARD Act (positively or negatively) impacted competition
between credit card issuers? How, if at all, do these changes and
impacts relate to the cost or availability of consumer credit cards?
(5) The safety and soundness of credit card issuers
a. How is the credit cycle evolving? What, if any, safety and
soundness risks are present or growing in this market, and which
entities are disproportionately affected by these risks? How, if at
all, do these safety and soundness risks to entities result from or
otherwise relate to long-term indebtedness on the part of some
consumers, or changes in consumers' ability to manage their debts? Has
the impact of the CARD Act on safety and soundness changed over the
past two years?
(6) The use of risk-based pricing for consumer credit cards
a. How has the use of risk-based pricing for consumer credit cards
changed since the CFPB reported on the credit card market in 2023? What
has driven those changes or lack of changes? Has the impact of the CARD
Act on risk-based pricing changed over the past two years?
b. How have CARD Act provisions relating to risk-based pricing
impacted (positively or negatively) the evolution of practices in this
market?
c. Are changes in consumers' credit scores leading to both upward
and downward APR repricing? Are incidence in one direction more common
than the other?
(7) Consumer credit card product innovation
a. How has credit card product innovation changed since the CFPB
reported on the credit card market in 2023? What has driven those
changes or lack of changes? Has the impact of the CARD Act on product
innovation changed over the past two years?
b. How have broader innovations in finance, such as (but not
limited to) new products and entrants offering unique features,
evolving digital tools, greater availability of and new applications
for consumer data, and new technological tools (like artificial
intelligence), impacted the consumer credit card market, either
directly or indirectly? In what ways do CARD Act provisions encourage
or discourage innovation? In what ways do innovations increase or
decrease the impact of certain CARD Act provisions, or change the
nature of those impacts?
Rohit Chopra,
Director, Consumer Financial Protection Bureau.
[FR Doc. 2025-01201 Filed 1-16-25; 8:45 am]
BILLING CODE 4810-AM-P