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What Are “Actual Damages” Under the FCCPA and the FDCPA?

Jimerson Firm

6:06-CV-1678-ORL-28DAB, 2009 WL 535980, at *6 (M.D. 8:13-CV-00567-T-27AEP, 2014 WL 55016, at *2 (M.D. 7, 2014) (holding plaintiff was not entitled to actual damages for mental anguish because she failed to supply any competent evidence, such as medical records or expert testimony, that would support her claim). July 2, 2014).

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What is the Difference Between the FDCPA and the FCCPA?

Jimerson Firm

14-80284-CIV, 2014 WL 12538974, at *3 (S.D. 3:13-CV-163-J-39PDB, 2014 WL 2987702, at *2 (M.D. July 2, 2014) (“Emotional distress must have a severe impact on the sufferer to justify an award of actual damages.”); Goodin , 114 F. 6:06-CV-1678-ORL-28DAB, 2009 WL 535980, at *6 (M.D. See Stanley v. See Alecca v.

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CFPB Asserts New Authority Over Data Security Practices

Collection Industry News

Actual injury is not required to satisfy this prong. Neovi, Inc. , 2d 1104 (S.D. 1952), aff’d, 604 F.3d 3d 1150 (9th Cir. Wyndham Worldwide Corp. , 3d 602 (D.N.J. 1887), aff’d, 799 F.3d 3d 236 (3d Cir. The content of this article is intended to provide a general guide to the subject matter.

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Searching For The Meaning Of “Meaningful Involvement”

FDCPA Defense

Without even trying to establish a standard for complying with the “meaningful involvement” doctrine, cases like Clomon , Avila , and Nielsen held that the FDCPA was violated. One court that at least tried to establish a “test” of sorts was Bock v. Pressler & Pressler, LLP , 30 F.