Total complaints
2
Filed since I al
2 consumer complaints recorded in the CFPB Consumer Complaint Database, with breakdowns by product, state, and complaint year.
2 consumer complaints filed with the CFPB
This profile shows 15 U.S.C. 1681e ( b ) mandates that reporting agencies follow procedures to ensure maximum possible accuracy. The continued reporting of these charge-offs without verification has already caused financial harm's complaint history from CFPB public records. 2 consumers have filed complaints since I al. The company has a 0% timely response rate and has provided relief in 0% of cases.
Total complaints
2
Filed since I al
Timely response
0%
CFPB-tracked response window
Relief rate
0%
Closed with monetary or non-monetary relief
CFPB benchmark: response within 15 calendar days of filing.
Share closed with monetary or non-monetary relief.
How 15 U.S.C. 1681e ( b ) mandates that reporting agencies follow procedures to ensure maximum possible accuracy. The continued reporting of these charge-offs without verification has already caused financial harm's 2 complaints split across CFPB product categories. Resolution rate badge = % closed with monetary or non-monetary relief.
| Product | Complaints |
|---|---|
| specifically XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX with a balance of {$0.00}. I have never been provided with original account agreements | 2 |
| State | Complaints |
|---|---|
| including credit denials | 2 |
| Issue | Complaints |
|---|---|
| or proof that these debts were ever valid or lawfully charged off. Reporting a zero-balance account as a charge-off is misleading and materially harms my creditworthiness. Under 15 U.S.C. 1681s-2 ( a ) ( 1 ) ( A ) | 2 |
Source: CFPB Consumer Complaint Database CFPB Consumer Complaint Database
15 U.S.C. 1681e ( b ) mandates that reporting agencies follow procedures to ensure maximum possible accuracy. The continued reporting of these charge-offs without verification has already caused financial harm has accumulated 2 consumer complaints in the CFPB public database, with filings active across 1 U.S. state. Of those submissions, 2 include a consumer narrative — the verbatim description of the reported problem that the CFPB collects alongside each filing. The earliest complaint on file dates back to I al, and the most recent logged activity is I also dis, giving this record a multi-year window of observable consumer sentiment.
Looking at response behavior, 15 U.S.C. 1681e ( b ) mandates that reporting agencies follow procedures to ensure maximum possible accuracy. The continued reporting of these charge-offs without verification has already caused financial harm reports a 0% timely-response rate and has closed 0% of cases with a written explanation to the consumer. 0% of complaints were closed with monetary or non-monetary relief — an outcome signal that tracks how often consumers walked away with some form of remediation. A further 0% of responses were formally disputed by the consumer after the company replied, a useful marker of resolution quality independent of sheer volume. The most-reported product category for this record is "specifically XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX with a balance of {$0.00}. I have never been provided with original account agreements", and the single most common underlying issue is "or proof that these debts were ever valid or lawfully charged off. Reporting a zero-balance account as a charge-off is misleading and materially harms my creditworthiness. Under 15 U.S.C. 1681s-2 ( a ) ( 1 ) ( A )".
Complaint volume is heavily influenced by company size, customer base, and market footprint — larger financial institutions routinely carry more filings purely because they serve more consumers. A complaint is a consumer-reported allegation, not proven wrongdoing, and a timely or relief-flagged closure does not by itself confirm fault. Use this page as one input among many when evaluating 15 U.S.C. 1681e ( b ) mandates that reporting agencies follow procedures to ensure maximum possible accuracy. The continued reporting of these charge-offs without verification has already caused financial harm: cross-check against the CFPB Consumer Complaint Database directly, review your own contract terms, and consult a licensed professional for financial, legal, or regulatory advice. This page is informational only.
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Disclaimer: This data is from CFPB public records. PlainComplaint does not provide financial advice. A complaint does not indicate that a company has violated any law or regulation. Complaint volumes are influenced by company size, customer base, and market presence. Use this data as one of many inputs when evaluating a company.
15 U.S.C. 1681e ( b ) mandates that reporting agencies follow procedures to ensure maximum possible accuracy. The continued reporting of these charge-offs without verification has already caused financial harm has received 2 consumer complaints filed with the Consumer Financial Protection Bureau.
15 U.S.C. 1681e ( b ) mandates that reporting agencies follow procedures to ensure maximum possible accuracy. The continued reporting of these charge-offs without verification has already caused financial harm has a 0% timely response rate to CFPB complaints.
The most common issue reported against 15 U.S.C. 1681e ( b ) mandates that reporting agencies follow procedures to ensure maximum possible accuracy. The continued reporting of these charge-offs without verification has already caused financial harm is "or proof that these debts were ever valid or lawfully charged off. Reporting a zero-balance account as a charge-off is misleading and materially harms my creditworthiness. Under 15 U.S.C. 1681s-2 ( a ) ( 1 ) ( A )" in the "specifically XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX XXXX with a balance of {$0.00}. I have never been provided with original account agreements" product category.
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