Remove 2016 06
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CFPB Asserts New Authority Over Data Security Practices

Collection Industry News

In 2016, the CFPB issued a consent order against a payment processor alleging that the company had engaged in deceptive acts and practices in violation of the CFPA relating to false representations made regarding the company’s data security practices. Creating password management policies and procedures. Renewed focus on data privacy?

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What is the Difference Between the FDCPA and the FCCPA?

Jimerson Firm

6:06-CV-1678-ORL-28DAB, 2009 WL 535980, at *6 (M.D. 2016) (quoting Schauer v. June 7, 2006) (awarding $10,000 in actual damages where defendant called plaintiff’s work to demand payment for an illegitimate debt, threatened her with arrest if she did not pay, and faxed a request for an arrest warrant to her workplace); Rodriguez v.

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Searching For The Meaning Of “Meaningful Involvement”

FDCPA Defense

2016) (no FDCPA violation where law firm used Greco disclaimer on front of letter stating: “Please be advised that we are acting in our capacity as a debt collector and at this time, no attorney with our law firm has personally reviewed the particular circumstances of your account.”). at 365; see also Jones v. Dufek , 830 F.3d 3d 523 (D.C.