| XXXX XXXX XXXX ( Transunion : XXXX | 1 | 0.0% | XXXX XXXXXXXX XXXX XXXX ( XXXX : XXXX Transunion : XXXX |
| XXXX XXXX XXXX ( XX/XX/2022 ),Company has responded to the consumer and the CFPB and chooses not to provide a public response,TRANSUNION INTERMEDIATE HOLDINGS | 1 | 0.0% | 615 ( f ) and 623 ( a ) ( 6 ) of the Fair Credit Reporting Act. I am requesting that the following fraudulent accounts be deleted and blocked from my credit file : XXXX XXXX |
| XXXX XXXX XXXX ( XX/XX/XXXX | 1 | 0.0% | Experian is allowing numerous unauthorized inquiries to remain on my credit file |
| XXXX XXXX XXXX ( XX/XX/XXXX ) | 4 | 0.0% | over XXXX financial institutions accessed my credit reports without my authorization |
| XXXX XXXX XXXX ( XX/XX/XXXX Experian ) | 3 | 0.0% | FCRA 604 ( a ) 15 U.S.C. 1681b ( a ) |
| XXXX XXXX XXXX ( XXXX ) XXXX XXXX XXXX | 3 | 0.0% | title XXXX |
| XXXX XXXX XXXX ( XXXX '' ) met its obligations under the Fair Credit Reporting Act ( FCRA '' ) when it relied solely on the creditors ' original information in determining the accuracy of a consumer 's credit information. The court held that the FCRA requires a credit reporting agency to go beyond its original sources of credit information when reinvestigating inaccuracies in a credit report after the consumer informs the agency of those inaccuracies. | 1 | 0.0% | SO SHE TRANSFERED ME TO XXXX -- iID NUMBER XXXX SHE WAS RUDE AND BASICALLY TOLD ME SHE COULD NOT FIND ANYWHERE THAT I EVEN DISPUTED ONCE THIS YEAR?????? XXXX MY SURPRISE WHEN SHE ASKED ME TO XXXX XXXX ANOTHER SET OF INVESTIGATIONS? I SAID NO THERE ARE SOME ALREADY IN PLACE AND TOLD HER THE SAME THING I SAID TO XXXX. AND SHE SAID DOESNT MATTER SHE DOES NOT SEE ANY OTHER DISPUTES. I SAID OK NOT GON NA DO THIS FILE WHATEVER YOU WANT I AM FILING A LAWSUIT BECAUSE CLEARLY MY RIGHTS AS A CONSUMER ARE BEING VIOLATED AND I HAVE PROVIDED PROOF ALONG WITH CONTACTING CREDITORS |
| XXXX XXXX XXXX ( XXXX ) | 5 | 0.0% | XXXX ( XXXX ) |
| XXXX XXXX XXXX ( XXXX ) ). | 1 | 0.0% | M & T Bank has committed a deprivation of property ''. If an official acts without authority |
| XXXX XXXX XXXX ( XXXX ) ). accept as true all well-pled factual allegations in this complaint and all reasonable inferences that can be drawn from them. ' '' Estate of XXXX by XXXX XXXX XXXX XXXX XXXX | 2 | 0.0% | to XXXX XXXX XXXX XXXX XXXX XXXX efforts to collect the debt and stopped sending periodic account notices |
| XXXX XXXX XXXX ( XXXX ) : Emphasizes the importance of accuracy and completeness in consumer reporting and the need for thorough investigation and validation when a consumer disputes information. XXXX v. XXXX Bank of Massachusetts | 1 | 0.0% | emails |
| XXXX XXXX XXXX ( XXXX ) : Emphasizes the importance of accuracy and completeness in consumer reporting and the need for thorough investigation and validation when a consumer disputes information. XXXX vXXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXXXXXX. XXXX XXXX ( XXXX XXXX. XXXX ) : Held that debt collectors must conduct meaningful investigations when disputes are raised | 1 | 0.0% | emails |
| XXXX XXXX XXXX ( XXXX ) [ a burden shifting analysis first developed by the United States Supreme Court. ] The circumstances of this case are more obvious. | 1 | 0.0% | much less cancellation of my account |
| XXXX XXXX XXXX ( XXXX ) Right to Rescind Without Justification Failing to issue a XXXX | 1 | 0.0% | XXXX engaged in fraudulent financial practices by : Sending XXXX unlawful financial statements ( negotiable instruments ) via XXXX Mail |
| XXXX XXXX XXXX ( XXXX ) XXXX | 1 | 0.0% | AS CONSERVATOR FOR THE FEDERAL NATIONAL MORTGAGE ASSOCIATION AND THE FEDERAL HOME LOAN MORTGAGE CORPORATION |
| XXXX XXXX XXXX ( XXXX ) XXXX Cell,Company has responded to the consumer and the CFPB and chooses not to provide a public response,BANK OF AMERICA | 1 | 0.0% | and is well aware of the fiduciary responsibilities he has to abide by and uphold ; on and off duty. I want my funds returned to me without further delay. I contacted Bank of America |
| XXXX XXXX XXXX ( XXXX ) XXXX XXXX XXXX ( XXXX ) XXXX CXXXX XXXX Inquiry : XXXX XXXX | 1 | 0.0% | XXXX XXXX XXXX XXXX Inquiry : XXXX XXXX |
| XXXX XXXX XXXX ( XXXX ) XXXX XXXX XXXX Inquiry : XXXX XXXX | 2 | 0.0% | NC XXXX Date of inquiry XX/XX/XXXX XXXX XXXX XXXX Dispute this Address XXXX XXXX XXXX XXXX XXXX |
| XXXX XXXX XXXX ( XXXX ) XXXX XXXX XXXX XXXX : XXXX. XXXX | 1 | 0.0% | XXXX XXXX XXXX ( XXXX ) XXXX XXXX XXXX XXXX : XXXX XXXX |
| XXXX XXXX XXXX ( XXXX ) XXXX XXXX XXXX XXXX XXXX Inquiry : XXXX XXXX | 1 | 0.0% | XXXX XXXX XXXX XXXX XXXX XXXX : XXXX XXXX |
| XXXX XXXX XXXX ( XXXX ) XXXX XXXX. I got no reply from Direct Express nor any XXXX of explanation | 1 | 0.0% | a copy of my Drivers License ( front |
| XXXX XXXX XXXX ( XXXX ) XXXXXXXX XXXX XXXX Inquiry : XXXX XXXX | 1 | 0.0% | NC XXXX Date of inquiry XX/XX/XXXX XXXX XXXX XXXX Dispute this Address XXXX XXXX XXXX XXXX XXXX |
| XXXX XXXX XXXX ( XXXX ). You will be held liable for your actions. Let me remind you | 1 | 0.0% | as in XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXXXXXX XXXX |
| XXXX XXXX XXXX ( XXXX : XXXX | 2 | 0.0% | XXXX XXXX XXXX XXXX ( Equifax : XXXX XXXX : XXXX |
| XXXX XXXX XXXX ( XXXX Cir. XX/XX/XXXX ). | 1 | 0.0% | the entire matter is void |
| XXXX XXXX XXXX ( XXXX Cir. XXXX ) | 10 | 0.0% | furnishers must ensure the accuracy of information reported to credit bureaus. Additionally |
| XXXX XXXX XXXX ( XXXX Cir. XXXX ) - XXXX v. BB & T | 3 | 0.0% | delete per 15 U.S.C. 1681i ( a ) ( 5 ) ( A ) ) Last Verified - TransUnion : XX/XX/XXXX - Experian : ( blank ) - Equifax : ( blank ) Date of Last Activity - TransUnion : XX/XX/XXXX - Experian : XX/XX/XXXX - Equifax : XX/XX/XXXX Date Opened - TransUnion : XX/XX/XXXX - Experian : XX/XX/XXXX - Equifax : XX/XX/XXXX Balance Owed - TransUnion : {$450000.00} - Experian : {$450000.00} - Equifax : {$620000.00} Payment Status - TransUnion : Current - Experian : Current - Equifax : Late 120 Days Creditor Remarks- TransUnion : ( blank ) - Experian : ( blank ) - Equifax : Real estate mortgage ; FHA mortgage Payment Amount - TransUnion : {$4100.00} - Experian : {$4100.00} - Equifax : {$4800.00} Last Payment - TransUnion : XX/XX/XXXX - Experian : XX/XX/XXXX - Equifax : XX/XX/XXXX Term Length - TransUnion : 504 months - Experian : 504 months - Equifax : ( blank ) Past Due Amount - TransUnion : {$0.00} - Experian : {$0.00} - Equifax : {$25000.00} Two-Year Payment History ( 30/60/90 ) - TransUnion : XXXX - Experian : XXXX - Equifax : XXXX ( These values are mathematically incompatible and contradict the monthly history. I have never been late. ) * * Requested Outcome * * - Correct all fields to be accurate and consistent across all bureaus - Remove all late-payment codes- Report this account as Pays as Agreed/ Current - If any item can not be verified using original source documentation from the furnisher |
| XXXX XXXX XXXX ( XXXX Cir. XXXX ) determined that credit bureaus must verify disputed data with reasonable diligence. | 3 | 0.0% | XXXX XXXX XXXX ( XXXX XXXX. XXXX ) |
| XXXX XXXX XXXX ( XXXX Cir. XXXX ). | 3 | 0.0% | itemized account history |
| XXXX XXXX XXXX ( XXXX XXXX ) | 1 | 0.0% | XXXX XXXX XXXX |
| XXXX XXXX XXXX ( XXXX XXXX XXXX ) ( furnisher must conduct its own reasonable investigation | 1 | 0.0% | upon receiving a notice of dispute regarding the accuracy of information provided to CRAs |
| XXXX XXXX XXXX ( XXXX XXXX ) | 2 | 0.0% | XXXX XXXX XXXX XXXX ( XXXX XXXX ) |
| XXXX XXXX XXXX ( XXXX XXXX ) : A case reiterating the principle that a mortgage can only be enforced by the holder of the note. The Trustee was not assigned the note and mortgage and that assignment happens at XXXX XXXX level where the real property is recorded. XXXX and MERS are recorded at the County level. Secondly | 1 | 0.0% | CUSIP No. XXXX show The Federal Reserve Bank XXXX XXXX XXXX as the Depository and XXXX XXXX XXXX XXXX XXXX XXXXXXXX as the Central Paying and Transfer Agent. See Exhibit C Originally issued by XXXX XXXX XXXXXXXX XXXX |
| XXXX XXXX XXXX ( XXXX XXXX ) had Virginia Worker 's Compensation benefits that were supposed to be paid weekly in the amount of {$1200.00} | 1 | 0.0% | in this case and due to recent events |
| XXXX XXXX XXXX ( XXXX XXXX ) XXXX XXXX XXXX damages compensable under FCRA ) ; XXXX | 1 | 0.0% | courts have consistently held that actual damages XXXX include XXXX XXXX XXXX XXXX even in the absence of out-of-pocket expenses. '' XXXX v. Equifax XXXX XXXX. XXXX |
| XXXX XXXX XXXX ( XXXX XXXX XX/XX/XXXX ). The Borrower believed that his employment and the economic conditions would improve or stay the same. No one expected the total devastation of the economy which resulted in millions of homeowners to default on their loans because of massive layoffs and elimination of whole job categories. Millions of jobs were sent overseas too. The borrower was among those affected. Accordingly | 1 | 0.0% | a defense of Impossibility of Performance is warranted. The Impossibility of Performance doctrine excuses a contractual performance when it is rendered objectively impossible to perform either by operation of law or subject matter of the contract has been destroyed. Thus |
| XXXX XXXX XXXX ( XXXX XXXX XXXX ) | 1 | 0.0% | I am being personally pursued as an individual guarantor. As such |
| XXXX XXXX XXXX ( XXXX XXXX XXXX ) further establishes that consumer reports must be accurate and complete. I trust you will comply with these legal standards and promptly address this dispute. | 1 | 0.0% | XXXX XXXX XXXX ( XXXXXXXX XXXX XXXXXXXX ) |
| XXXX XXXX XXXX ( XXXX XXXX XXXX ). ( PLEASE BE advised that the security deed remains in its original full force and effect from its inception | 1 | 0.0% | a final judgment was entered by automatic operation of law. See EXHIBIT-F |
| XXXX XXXX XXXX ( XXXX XXXX XXXX : # XXXX | 1 | 0.0% | XXXX XXXX XXXX ( XXXX XXXX ) : # XXXX |
| XXXX XXXX XXXX ( XXXX XXXX XXXXXXXX ) | 2 | 0.0% | intentional acts reflect not just negligence but a coordinated pattern of misconduct |
| XXXX XXXX XXXX ( XXXX XXXX. XXXX ) | 4 | 0.0% | Late Payments Reported in Error XXXXXXXX XXXX has reported late payments for periods during which I did not receive a billing statement |
| XXXX XXXX XXXX ( XXXX XXXX. XXXX ) ; XXXX v. TransUnion | 1 | 0.0% | 1681e ( b ) |
| XXXX XXXX XXXX ( XXXX XXXX. XXXX ) Automated dismissals are violations I demand that the CFPB investigate these stall tactics as a pattern of obstruction and noncompliance. | 3 | 0.0% | LLC |
| XXXX XXXX XXXX ( XXXX XXXX. XXXX ) confirmed the duty of credit reporting agencies to ensure data accuracy | 1 | 0.0% | including unauthorized inquiries |
| XXXX XXXX XXXX ( XXXX XXXX. XXXX ) Furnishers must report complete and accurate data. | 1 | 0.0% | status : Paid |
| XXXX XXXX XXXX ( XXXX XXXX. XXXX ) Punitive damages appropriate for reckless FCRA violations -- - # # FINAL DEMAND To avoid immediate litigation | 1 | 0.0% | XXXX XXXX XXXX ( XXXX XXXX. XXXX ) Failure to report dispute violates XXXX ( XXXX ) - XXXX XXXX XXXX XXXX XXXX |
| XXXX XXXX XXXX ( XXXX XXXX. XXXX ) reinforces the requirement that furnishers conduct proper investigations into disputes and verify the accuracy of their reporting. | 1 | 0.0% | under XXXX XXXX XXXX XXXX XXXX XXXX XXXX. XXXX ) law |
| XXXX XXXX XXXX ( XXXX XXXX. XXXX ) XXXX v. XXXX | 1 | 0.0% | ( 5 ) Reporting projected through XXXX XXXX XXXX XXXX XXXX XXXX XXXX failure to investigate 15 U.S.C. 1681s-2 ( b ) Ignored certified disputes and data accuracy duties All Defendants Deceptive and unfair practices XXXX XXXX XXXX ( XXXX ) ( xxi ) ; NJ XXXX XXXX Misrepresentation and concealment of verification records All Defendants XXXX XXXX Reporting Violations XXXX XXXX XXXX Manual XXXX CFPB XXXX XXXX Missing XXXX |
| XXXX XXXX XXXX ( XXXX XXXX. XXXX ). | 6 | 0.0% | including emotional distress |