4 Flashpoints of the CFPB’s Section 1033 Comment Request

After the CFPB withdrew its lawsuit over Section 1033 of the Dodd-Frank Act, the bureau stated that it would begin a new, “accelerated” rulemaking process with an Advanced Notice of Proposed Rulemaking (ANPR) within three weeks. That three-week period ended last week, on August 22nd, when the CFPB published its Personal Financial Data Rights Reconsideration, effectively … Continue reading 4 Flashpoints of the CFPB’s Section 1033 Comment Request