The Consumer Financial Protection Bureau ("CFPB") highlighted findings from supervisory examinations completed between December 2018 and March 2019. The examinations covered (i) automobile loan origination, (ii) credit card account management, (iii) debt collection, (iv) furnishing of information by credit reporting companies, and (v) mortgage origination.

In its periodic publication, Supervisory Highlights, the CFPB reported examples of:

  • auto lenders engaging in abusive practices when selling add-on guaranteed asset protection (GAP) products (i.e., financial products that cover the difference between the amount owed on an auto loan and the amount received from an auto insurer);
  • credit card issuers failing to provide necessary disclosures when advertisements contained certain pricing terms, i.e., "triggering terms";
  • credit card issuers using a consumer deposit to offset credit card debt;
  • credit card issuers misleading consumer credit cardholders by implying that the issuer could repossess or foreclose in credit card collections;
  • credit card issuers using deceptive marketing techniques to secure credit card accounts;
  • debt collectors falsely representing the amount and legal status of consumers' debt; and
  • firms failing to meet accuracy and dispute handling requirements under the Fair Credit Reporting Act.

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