2026 data Public-data reference. official source

Companies: A

Companies starting with A that appear in the CFPB Consumer Complaint Database, sorted by total complaint volume.

29.6K companies starting with "A"

Showing 9.0K–9.1K of 29.6K

Company Complaints
and faxes that we met the criteria to be considered legitimate successors in interest. 1
and FCBA 8
and FCBA 1666 3
and FCBA in resolving these disputes. Please acknowledge receipt of this letter within five business days and inform me of the actions taken to address my concerns. 3
and FCBA laws. Additionally 3
and FCBA may result in legal action being taken against your agency. 3
and FCBA to hold these creditors accountable for their unlawful actions. 3
and FCBA. 21
and FCBA. Failure to comply may result in legal action to protect my rights and seek appropriate remedies. 5
and FCBA. I am demanding that the CFPB investigate these violations and hold the furnishers and credit bureaus accountable. I request the immediate deletion of these accounts unless the furnishers can provide full and complete validation with original signed agreements 1
and FCI Lender Services,Company has responded to the consumer and the CFPB and chooses not to provide a public response,FCI Lender Services Inc.,LA,70058,,Consent provided,Web,2019-10-16,Closed with explanation,Yes,N/A,3407846 1
and FCO had not provided any documentation supporting their claim. 1
and FCRA 1
and FCRA ( 15 U.S.C. 1681b ). This omission directly affects my rights and renders the reporting of this account unauthorized under federal law. 2
and FCRA 1681c-2 where they used fraud/third-party language as a stall tactic instead of properly handling my dispute. Because some of the underlying tradelines involve collection activity 1
and FCRA 1681e ( b ) which requires data furnishers to report with maximum possible accuracy. 1
and FCRA 1681s-2 prohibits reporting unverifiable data Story : This account has been unjustly charged off without sending me proper billing notices or allowing a reasonable dispute timeline XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX Issue : This charge-off status is being reported inaccurately 1
and FCRA 604 ( a ) 15 U.S.C. 1681b ( a ) 3
and FCRA 604 ( a ). Finally 3
and FCRA 604 ( f ) ( 15 U.S.C. 1681b ( f ) ) makes it unlawful to obtain a report without such purpose. Further 3
and FCRA 605 ( b ) for continuing to report derogatory information without reinvestigation. I also request the payment history be corrected under CFPB Bulletin 2014-01 which addresses consumer protections in credit reporting. Failure to update or suppress derogatory information related to pandemic hardship constitutes unfair 2
and FCRA 605 ( b ) for continuing to report derogatory information without reinvestigation. I also request the payment history be corrected under CFPB XXXX XXXX which addresses consumer protections in credit reporting. Failure to update or suppress derogatory information related to pandemic hardship constitutes unfair 1
and FCRA 605B requires deletion when an item can not be validated or is based on incomplete or unreliable information. 3
and FCRA 607 ( b ) 1
and FCRA 607 ( b ) 15 U.S.C. 1681e ( b ) 3
and FCRA 609 ( a ) by not disclosing the sources of disputed information. These errors are causing me direct harm in the form of credit denials 1
and FCRA 611 ( a ) 15 U.S.C. 1681i ( a ) 2
and FCRA 615 ( a ) prohibits adverse actions based on inaccurate information. 3
and FCRA 623 ( a ) ( 1 ) ( A ) 5
and FCRA 623 ( a ) ( 1 ) ( A ) [ 15 U.S.C. 1681s-2 ( a ) ( 1 ) ( A ) ] 3
and FCRA 623 ( a ) ( 2 ) 5
and FCRA 623 ( a ) ( 8 ) ( 15 USC 1681s-2 ( a ) ( 8 ) ) 3
and FCRA 623 ( a ) ( 8 ) ( 15 USC 1681s-2 ( a ) ( XXXX ) ) 1
and FCRA for reporting inaccurate information on my credit. This violation also carries a fine of {$1000.00}. 1
and FCRA Section 605B ( a ) - Credit Reporting Agencies shall remove any items in the file of a consumer identified as information resulting from an alleged identity theft not later than 4 business days after the date of receipt.,,EQUIFAX 1
and FCRA Section 623 ( a ) ( 5 ) 1
and FCRA Section 623. 1
and FCRA Section XXXX ( Duty to Report Accurate Information ). These violations have caused significant harm to my credit score and financial standing. 1
and FCRA to name a few. 1
and FCRA Violations Credit Reporting Agencies : TransUnion XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX Dear CFPB 1
and FCRA Violations Credit Reporting Agencies : XXXX XXXX XXXX XXXX 2
and FCRA XXXX ( a ) ( XXXX ) ( A ) prohibits furnishers from reporting inaccurate information.,,EQUIFAX 1
and FCRA XXXX ( a ) ( XXXX ) ( A ) prohibits furnishers from reporting inaccurate information.,Company has responded to the consumer and the CFPB and chooses not to provide a public response,Experian Information Solutions Inc.,CA,95815,,Consent provided,Web,2025-10-08,Closed with explanation,Yes,N/A,16432872 1
and FCRA XXXX ( a ) ( XXXX ) ( A ) prohibits furnishers from reporting inaccurate information.,Company has responded to the consumer and the CFPB and chooses not to provide a public response,TRANSUNION INTERMEDIATE HOLDINGS 1
and FCRA XXXX ( b ) 15 U.S.C. XXXX ( b ) 1
and FCRA. 2
and FDCPA 3
and FDCPA 1692c. Experian failed to validate or correct the disputed entries within the required 30-day window. 1
and FDCPA 1692e ( 8 ) .Story/Impact : This accounts misreporting has forced me to explain my financial reliability repeatedly 1
and FDCPA 1692e.Story/Impact : This false charge-off has prevented me from securing personal loans 2

About this letter-indexed view

This page lists every company beginning with the letter A that appears in the Consumer Financial Protection Bureau (CFPB) Consumer Complaint Database. The CFPB has accepted consumer complaints since 2011 and publishes them as a public dataset so consumers, journalists, and researchers can study patterns across the financial services industry. PlainComplaint mirrors that database and groups it by company so a single company page rolls up every complaint filed against that institution across every product, state, and complaint year.

Companies on this page are listed by name by default. You can switch the sort to "Most Complaints" to surface the highest-volume institutions starting with this letter, "Timely Response" to find companies with the strongest response track record, or "Most Recent" to see who has had complaints filed most recently. Each row links to a dedicated company page with year-over-year trends, the top complaint products, the issue categories driving volume, and a state-level breakdown showing where the company's customer base is filing the most reports.

How to interpret these numbers

Total complaint counts reflect raw volume — they do not control for a company's customer base size, market share, or product mix. A large nationwide bank can show six-figure complaint counts simply because it serves tens of millions of customers. A smaller regional lender with a low complaint count may still have a higher per-customer complaint rate. To compare companies fairly, look at "Timely Response %" alongside total volume: this measures the share of complaints the company answered within the CFPB's deadline. A high timely rate combined with a low consumer-disputed rate is a stronger signal of customer-service quality than raw count alone.

A complaint in this database is not a finding of wrongdoing. The CFPB does not verify the facts of each complaint before publishing it; complaints are consumer-submitted narratives. Companies have the opportunity to respond, dispute, or resolve each complaint, and many are resolved with monetary or non-monetary relief. The strength of the dataset is its scale — millions of records spanning every major U.S. consumer finance category — and its neutrality: it reports what consumers said happened, regardless of the company's perspective.

What you'll find on each company page

Each company detail page derives every statistic from the live PlainComplaint database. You'll see the company's total complaint volume since 2011, the timely-response rate, the breakdown by financial product (mortgages, credit cards, debt collection, credit reporting, and so on), the most common complaint issues filed against that company, the top states by complaint volume, and a year-over-year trend showing whether complaint volume is rising or falling. Where the database includes the company's most-recent assets or revenue, those values are shown so readers can compare complaint volume against firm size — context that raw counts alone cannot provide.

Companies are deduplicated where possible: subsidiaries are linked back to their parent organization, and shared identifiers from the CFPB are used to merge duplicate entries that appear under slightly different names. If you spot a company that should be merged with another, contact our editorial team — corrections are processed and reflected on the next dataset refresh.

Source & refresh cadence

All complaint records originate from the CFPB Consumer Complaint Database, downloaded from the agency's public data portal at consumerfinance.gov. We refresh the dataset on a regular cadence so the rankings, browse pages, and detail-page statistics stay aligned with the agency's latest public release. See the methodology page for the full data pipeline, deduplication rules, and refresh schedule. See the full company index for the alphabetical view across every letter, or jump to the rankings hub for live top-10 lists computed from the same database.

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