Browse Companies

Explore all 145.5K companies with CFPB consumer complaints

Company Complaints
15-18 ). 1
15.319 % 1
150 days late ) Inconsistent or missing DOFD information These differences create the appearance of multiple different derogatory events 2
151 ( 1999 ) 2
1519 ). 1
153A 277 ( b1 ) 1
15USC 1681-604A Section 2 : It also states a consumer reporting agency can not furnish an account without my written consent and instructions. I am not liable for this collection they have not provided me with the original contract as I have requested several times. 15 USC 1681 ( a ) ( 2 ) ( i ) states transactions and experiences between the consumer and the person making the report are not included in the consumer report ''. By Law 9
16 2
16 ( par. ) 12
16 and 15 ) XXXX XXXX collection agency sell the debit to XXXX XXXX XXXX XXXX collection agency ( document 14 ) I disputed the ownership of the card in my respond letter ( document 13 ) then I received a letter from XXXX XXXX XXXX ( document 12 ) 1
16 C.F.R. 433.3 does not exempt the creditor from any claims or defenses as described in 16 C.F.R. 433.2 ( a ). As the consumer has the right to invoke his/her ri 1
16 C.F.R. 433.3 does not exempt the creditor from any claims or defenses as described in 16 C.F.R. 433.2 ( a ). As the consumer has the right to invoke his/her rights as the debtor in this consumer credit contract against creditor for the unfair a 1
16 CFR 313 1
16 CFR 313 requires institutions to clearly and conspicuously inform customers of their right to opt out of information sharing with nonaffiliated third parties. My experiences with XXXX XXXXXXXX XXXX are in direct violation of these regulations. At no point during my engagement with XXXX XXXXXXXX XXXX was I presented with an opt-out notice or given an explanation of my rights in this regard 1
16 CFR 313.1 1
16 CFR 313.7 3
16 CFR 433.2 3
16 CFR Part 314 1
16 CFR Part 314 ; State privacy laws 1
16 Hands LLC. dba Fiducius 1
16 U.S.C 168ls2. State law may impose additional requirements on furnishers. All furnishers of information to CRAs should become familiar with the applicable laws and may want to consult with their counsel to ensure that they are in compliance. The text of the FCRA is available at the website of the Consumer Financial Protection Bureau ( CFPB ) : www.consumerfinanoe.gov/learnmore. A list of tile sections of tile FCRA cross-referenced to the .U.S Code is at the end of this document. Section 623 imposes the following duties upon furnishers : Accuracy Guidelines The FCRA requires furnishers to comply with federal guidelines and regulations dealing with the accuracy of information provided to CRAs by furnishers. Federal regulations and guidelines are available at www.consumerfinance.gov/learnmore. Section 623 ( e ). General Prohibition on Reporting Inaccurate Information The FCRA prohibits information furnishers from providing information to a CRA that they know or have reasonable cause to believe is inaccurate. However 1
1602 ( j ). 2
161. 'Correction of billing errors '.,Company has responded to the consumer and the CFPB and chooses not to provide a public response,U.S. BANCORP,CA,94115,,Consent provided,Web,2019-04-18,Closed with explanation,Yes,N/A,3216795 1
1637 ( a ) ( 6 ) 1
1637 ( a ) ( 7 ) 4
1637 ( b ) 3
164 III. 282 1
166 ( Date of last payment incorrect ) XXXX. XXXX XXXX Acct # XXXXXXXX XXXX XXXX XXXX {$2100.00} Multiple Late Payments Closed - E-OSCAR Codes : 112 ( Not mine ) 3
1666 IRS 1099C discharge obligations Metro 2 Appendix E CDIA guidelines for accurate credit reporting Case Law : XXXX 3
1666 IRS 1099C discharge reporting obligations Metro 2 Appendix E CDIA guidelines for accurate credit reporting Case Law : XXXX 3
1666a to 1666i 1
1666a. 1666b. 4
1666b 1
1681 3
1681 ( 2 ) ( a ) ( i ) 3
1681 ( c ) ( 1 ) 1
1681 i5 IN VIOLATION OF MY RIGHTS & EXPECTATION OF PRIVACY I do not know who the listed EMPLOYER is and it can be identify fraud 1
1681a ( 4 ) Non-compliance with 15 U.S. Code 1692 ( g ) Failure to meet verification standards outlined in 15 U.S.C. 1681i ( 7 ) This matter is both urgent and time-sensitive 1
1681b 3
1681b ( a ) ( 2 ) ; see also P.L. 90-321 ( 82 Stat. 146 ). 15 USC 1681C ( a ) ( 5 ) states [ e ] xcept as authorized under subsection ( b ) 1
1681c 4
1681c ( a ) ( 4 ) - Fair Debt Collection Practices Act ( FDCPA ) 807 1
1681c ( a ) ; FDCPA 1692g ( a ) 3
1681c ( a ) FDCPA 1692g ( a ) 3
1681c ( a ) FDCPA : 1692g ( a ) 63
1681c ( reporting beyond statute of limitations if delinquency >7 years ) XXXX. XXXX XXXX XXXX XXXXXXXX Reporting high balance ( $ XXXX ) on a charged-off account no payment history shown Violation : 1681e ( b ) ( incomplete data ) 3
1681c ). 1
1681c-2 XXXX XXXX XXXX XXXX XXXX ( XXXXXXXX XXXX ) XXXX {$3500.00} Unknown No lease or agreement signed 1
1681c2 3
1681c2 and XXXX XXXX XXXX ),Company has responded to the consumer and the CFPB and chooses not to provide a public response,Experian Information Solutions Inc.,FL,33181,,Consent provided,Web,2025-06-22,Closed with explanation,Yes,N/A,14223556 1

What this index shows

This is the master index of every company that appears in the Consumer Financial Protection Bureau (CFPB) Consumer Complaint Database, mirrored on PlainComplaint and grouped by institution so a single company page rolls up every complaint filed against that company across every product, state, and year since 2011. The CFPB began collecting consumer complaints when it was established under the Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 and has published them as a public dataset to give consumers, researchers, and journalists a window into how U.S. financial-services firms respond to customer concerns.

The default view is alphabetical by company name and paginated 50 companies per page. Use the sort controls to re-order by total complaint volume (highest first), timely-response percentage (best response track record first), or most recent complaint activity (companies with the freshest reports). Each row links to a dedicated company page showing year-over-year complaint trends, the top complaint products, complaint issues, top states by volume, and a year-by-year breakdown of complaint counts and response timeliness.

How to compare companies fairly

Raw complaint volume is a function of two things: how many customers the company serves, and how it handles those customers. A nationwide bank with tens of millions of accounts can show six-figure complaint counts simply because of its scale; a smaller regional lender with a few hundred complaints may actually have a higher per-customer complaint rate. The "Timely Response %" column shows the share of complaints the company answered within the CFPB's deadline — a stronger comparable metric across firms of different sizes. Pair it with the volume column to form a fuller picture, and dig into the company page for the breakdown by product so you can see whether issues are concentrated in a single line of business (for example, credit reporting) or spread across the entire firm.

Complaint records are consumer-submitted narratives. The CFPB does not adjudicate or verify the facts in each report before publishing; companies are given the opportunity to respond, dispute, or resolve. Many complaints are resolved with monetary or non-monetary relief. The strength of the dataset is in its scale — millions of records spanning every major U.S. consumer financial category — and its neutrality: it reports what consumers said, regardless of the company's perspective. Treat individual records accordingly, and lean on aggregate patterns (top issues, year-over-year trends, state distribution) when drawing conclusions.

What the dataset covers

The CFPB Consumer Complaint Database covers complaints against banks, credit-card issuers, mortgage servicers, debt collectors, payday lenders, student-loan servicers, money-transfer companies, prepaid-card issuers, credit bureaus, auto-finance lenders, and other financial products and services regulated by the agency. Complaints are categorized by product (the broad financial-services category) and sub-product, and again by issue (the specific consumer concern, e.g. "incorrect information on your report") and sub-issue. Year-by-year coverage runs from 2011 to present, with monthly refreshes published by the CFPB.

PlainComplaint refreshes from the agency's public release on a regular cadence and re-derives all aggregate counts, rankings, and trend lines on each refresh, so the page you're reading reflects the latest snapshot of the public database. See the methodology page for the full data pipeline, dedup rules, and the refresh schedule, or browse by other dimensions: issues, products, or states.