The CFPB is extending the comment periods for two proposed rulemakings under Regulation V, which implements the Fair Credit Reporting Act (FCRA). On March 5, the Bureau extended the comment period for its proposed rule on data brokers and consumer reports. Similarly, on March 7, the CFPB announced an extension for its Advance Notice of Proposed Rulemaking (ANPR) on identity theft and coerced debt.

The CFPB’s proposed rule on data brokers and consumer reports aims to clarify when data brokers qualify as “consumer reporting agencies” under the FCRA (previously discussed here). This rulemaking is intended to enhance consumer privacy protections and limit the use of consumer data without appropriate oversight. The Bureau is seeking feedback on:

Comments are now due on April 2, 2025. 

The CFPB’s proposed rule on identity theft and coerced debt (previously discussed here) seeks to clarify how these issues are defined under Regulation V. The Bureau is particularly focused on ensuring that consumers who have been forced into debt through fraud or abuse are not unfairly burdened in the credit reporting system. Key areas of interest include:

Comments on this rule are now due by April 7, 2025.

Putting It Into Practice: The CFPB’s decision to extend both comment periods may provide insight into the new administration’s regulatory priorities, particularly in the consumer reporting space. The extensions suggest that the Bureau is taking a deliberate approach to gathering stakeholder input and is not doing away with rulemaking altogether. It will be interesting to see what Chopra-era rulemaking survives this new CFPB.

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