2026 data Public-data reference. official source

Companies: R

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

2.0K companies starting with "R"

Showing 1.3K–1.3K of 2.0K

Company Complaints
requires that creditors refrain from any discrimination in their credit practices. Given the importance of accuracy and fairness in credit reporting Given the importance of accuracy and fairness in credit reporting. XXXX responded XXXX XXXX responded on XX/XX/XXXX after careful review 1
requires that debt collectors cease collection of a debt until verification of that debt is mailed to consumers. Please provide this information in writing via U.S. mail at the address listed above. 1
requires that financial institutions provide written notice of any adverse actions 1
requires the contractor to have the appropriate professional skills 1
requires the customer to sign a credit card draft. In turn 1
requires the production of the original. 90.953 ( 1 ) 1
requires XXXX and XXXX to pay {$700000.00} in compensation to the servicemembers whose cars were illegally repossessed. XXXX and XXXX also must repair the credit of all affected servicemembers 1
requires you to cease all collection activities ( including any contact with credit reporting agencies ) until you have properly validated and verified the debt amount. 4
requiring a lump sum at the end of the 90 days. As if anyone is saving money right now and able to pay MORE when this nightmare is over! Thats illogical. It is mentioned that payment plans could be made 1
requiring a new XXXX fund within 30 days and a direct deposit within 60 days. That being said 1
requiring a prompt and reasonable reinvestigation of any disputed item. 1
requiring a reasonable investigation upon dispute. The CFPBs consent order in In re XXXX XXXX XXXX XXXX ( XXXX ) highlighted penalties for DOFD errors that misled consumers and extended negative reporting periods unlawfully. By uploading false or unverifiable data through the e-OSCAR system 1
requiring a {$500000.00} balance 1
requiring accurate reporting and proper reinvestigation during disputes. This raises concerns of willful or negligent noncompliance under 15 U.S.C. 1681n and 1681o.,,General Motors Financial Company 1
requiring credit reporting agencies to ensure accuracy. 2
requiring extensive communication and often causing payments to be processed late due to investor approval requirements. The project became a substantial drain on my personal and other business finances. 1
requiring immediate deletion to prevent further injury. 3
requiring immediate removal. 2
requiring investigation by experts outside CBs influence. 1
requiring mandatory deletion. 2
requiring me to cover the return shipping costs. As a result 1
requiring me to gather documentation 1
requiring me to obtain my own insurance at approximately {$500.00} per month. 1
requiring me to press for clarification XXXX. Exploitation of vulnerability : After I explained my daughter 's situation and my utility payment concerns -- as well as after saying that I could make a payment of this size in XXXX after my daughter returned to school 1
requiring me to re-upload the same materials again. 1
requiring ongoing monitoring 2
requiring prior written customer authorization per FINRA Rule 3260 and Rules 2510 ( b ) and 2020. Any sale in my account without written or verbal approval is a violation. [ \ [ XXXX ] ] ( XXXX XXXX XXXX ) 1
requiring re-investigation and suspension of collection upon the alleged debt 1
requiring repayment of nearly XXXX times the borrowed amount which I found predatory and unacceptable. 1
requiring that I resolve the issue with the creditor 3
requiring that the consumer reapply for credit under these circumstances seems grossly unfair and does not appear to reflect best business practices. 1
requiring the bureaus and furnishers to investigate and correct inaccurate information. I request that the bureaus conduct a full reinvestigation 3
requiring the consumer to prove the inaccuracy themselves would be inconsistent with the structure of the FCRA 1
requiring the corresponding banks information 1
requiring the credit bureaus to investigate and delete any unverified data within 30 days. If a credit report is accessed or reported improperly 23
requiring the credit bureaus to investigate and delete any unverified data within XXXX days. If a credit report is accessed or reported improperly 8
requiring the credit bureaus to investigate and delete any unverified data within XXXX days. If a credit report is accessed or reported improperly 1
requiring the customer to follow up repeatedly. XXXX Payment reassurances and delays : The customer was told multiple times that mortgage payments for XXXX and XXXX would be covered during refinancing 1
requiring them to either provide certified and verifiable documentation from original creditors and courts or to delete these inaccurate accounts 1
requiring unplanned expenses for moving 1
requiring us to reacquire the security prior to contractual maturity. We attempt to mitigate these risks in various ways. Our collateral primarily consists of highly liquid securities. In addition 1
REQUISITE 426-CHARACTER FORMAT FIELDED P6 STATEMENTS ( S ) 2
rerouting mail fraud 1
resale 1
rescinded 1
rescinding the charges 1
rescission or reformation of contracts 1
Rescue 1 Financial, LLC 3
research facts 4
researching consumer rights 1

About this letter-indexed view

This page lists every company beginning with the letter R 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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