| May 22, 2006
Office of the Comptroller of the Currency
250 E Street, NW
Mail Stop 1-5
Washington, DC 20219
Docket No. 06-04
RIN 1557-AC89
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Regulation Comments
Chief Counsel’s Office
Office of Thrift Supervision
1700 G Street, NW
Washington, DC 20552
Attention: No. 2006-06
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Ms. Jennifer Johnson
Secretary
Board of Governors of the Federal Reserve
20th Street and Constitution Avenue, NW
Washington, D RIN 3064-AC99C 20551
Docket No. R-1250
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Mary Rupp
Secretary of the Board
National Credit Union Administration
1775 Duke Street
Alexandria, VA 22314-3428
Attention: Comments on ANPR Part 217
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Mr. Robert E. Feldman
Executive Secretary
Attention: Comments
Federal Deposit Insurance Corporation
550 17th Street, NW
Washington, DC 20429
RIN 3064-AC99 |
Office of the Secretary
Federal Trade Commission
Room 159-H (Annex C)
600 Pennsylvania Avenue, NW
Washington, DC 20580
Project No. R611017
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Re: Interagency Advance Notice of Proposed Rulemaking: Procedures to Enhance
the
Accuracy and Integrity of Information
Furnished to Consumer Reporting
Agencies Under Section 312 of the Fair and
Accurate Credit Transactions Act
71 FR 14419-25 (March 22, 2006)
Dear Sir or Madam:
America’s Community Bankers (ACB) appreciates the opportunity to comment on the
Interagency Advance Notice of Proposed Rulemaking: Procedures to Enhance the
Accuracy and Integrity of Information Furnished to Consumer Reporting Agencies
Under Section 312 of the Fair and Accurate Credit Transactions Act (“ANPR”)
issued by the Office of the Comptroller of the Currency, the Board of Governors
of the Federal Reserve System, the Federal Deposit Insurance Corporation, the
Office of Thrift Supervision, the National Credit Union Administration, and the
Federal Trade Commission (collectively, the “Agencies”).
Since December 4, 2003, when the President signed the Fair and Accurate Credit
Transaction Act of 2003 (FACT Act), ACB has supported its reasonable
implementation. ACB is focused on ensuring that the regulatory implementation of
the FACT Act provides financial institutions the necessary flexibility to
conduct appropriate information sharing activities without undue burden, while
also providing real protections for consumers.
Responsible information sharing practices allow community banks to facilitate
transactions, protect their customers, understand a customer’s financial needs,
and improve overall customer service. Responsible and voluntary furnishing of
accurate information can result in significant economic benefit for both
consumers and financial institutions.
ACB supports the efforts of the agencies to develop consistent requirements to
ensure the accuracy and integrity of information provided to consumer reporting
agencies as long as those requirements allow flexibility and do not place an
undue burden on community banks. Any new common requirements should be based on
the procedures community banks have put into practice under Section 623 of the
Fair Credit Reporting Act (FCRA). In part, Section 623 prohibits furnishers from
providing information known to be false and requires furnishers to correct
errors when they become known.
The ANPR requests comment on establishing a threshold at which information
furnishers are required to reinvestigate a dispute of information contained in a
consumer report, based on a direct request by the consumer. ACB supports
establishing a high standard for such a threshold based on the costs of the
reinvestigation to the bank and the potential benefits to the consumer. Banks
would have the flexibility to set their own individual thresholds below the
general requirement if they determine it is in the best interests of the bank
and/or its customers. It is especially important for banks to have flexibility
in responding to direct consumer requests if the consumer does not provide new
or substantive supporting information regarding the dispute.
ACB appreciates the opportunity to comment on this important matter and supports
the Agencies’ efforts to promulgate reasonable rules that will benefit the
consumer without undue burden being placed on the community banks. We stand
willing to work with the
Agencies as the proposed rule is completed. Should you have any questions,
please contact the undersigned at 202.857.5088 or via email at
[email protected] or Steve
Kenneally at 202.857.3148 or via email at
[email protected].
Sincerely,
Patricia A. Milon
Chief Legal Officer and Senior Vice President,
Regulatory Affairs
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