Total complaints
1
Filed since as u
1 consumer complaints recorded in the CFPB Consumer Complaint Database, with breakdowns by product, state, and complaint year.
1 consumer complaints filed with the CFPB
This profile shows which requires credit bureaus to reinvestigate disputes and delete unverifiable information. The continued reporting of unverified data also breaches FDCPA 1692e's complaint history from CFPB public records. 1 consumers have filed complaints since as u. The company has a 0% timely response rate and has provided relief in 0% of cases.
Total complaints
1
Filed since as u
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 which requires credit bureaus to reinvestigate disputes and delete unverifiable information. The continued reporting of unverified data also breaches FDCPA 1692e's 1 complaints split across CFPB product categories. Resolution rate badge = % closed with monetary or non-monetary relief.
| Product | Complaints |
|---|---|
| potentially constituting wire fraud under 18 U.S.C. 1343 if the information is knowingly false or misleading. Under 15 U.S.C. 1681s-2 ( b ) | 1 |
| State | Complaints |
|---|---|
| prohibiting false or misleading representations in debt collection. Legal Obligations and Violations * FCRA 1681e ( b ) : Credit bureaus must follow reasonable procedures to ensure maximum possible accuracy. Inaccurate personal information and account details violate this provision | 1 |
| Issue | Complaints |
|---|---|
| as seen in Johnson v. MBNA Am. Bank | 1 |
Source: CFPB Consumer Complaint Database CFPB Consumer Complaint Database
which requires credit bureaus to reinvestigate disputes and delete unverifiable information. The continued reporting of unverified data also breaches FDCPA 1692e has accumulated 1 consumer complaint in the CFPB public database, with filings active across 1 U.S. state. Of those submissions, 1 includes 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 as u, and the most recent logged activity is as uploade, giving this record a multi-year window of observable consumer sentiment.
Looking at response behavior, which requires credit bureaus to reinvestigate disputes and delete unverifiable information. The continued reporting of unverified data also breaches FDCPA 1692e 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 "potentially constituting wire fraud under 18 U.S.C. 1343 if the information is knowingly false or misleading. Under 15 U.S.C. 1681s-2 ( b )", and the single most common underlying issue is "as seen in Johnson v. MBNA Am. Bank".
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 which requires credit bureaus to reinvestigate disputes and delete unverifiable information. The continued reporting of unverified data also breaches FDCPA 1692e: 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.
which requires credit bureaus to reinvestigate disputes and delete unverifiable information. The continued reporting of unverified data also breaches FDCPA 1692e has received 1 consumer complaints filed with the Consumer Financial Protection Bureau.
which requires credit bureaus to reinvestigate disputes and delete unverifiable information. The continued reporting of unverified data also breaches FDCPA 1692e has a 0% timely response rate to CFPB complaints.
The most common issue reported against which requires credit bureaus to reinvestigate disputes and delete unverifiable information. The continued reporting of unverified data also breaches FDCPA 1692e is "as seen in Johnson v. MBNA Am. Bank" in the "potentially constituting wire fraud under 18 U.S.C. 1343 if the information is knowingly false or misleading. Under 15 U.S.C. 1681s-2 ( b )" product category.
Read our methodology — how this data is sourced, computed, and verified.