Inc.

101 consumer complaints filed with the CFPB

This page summarizes consumer complaints about Inc. products filed with the CFPB. 101 complaints have been filed across 60 companies. The most commonly reported issue is "collector or a credit bureau".

101
Total Complaints
60
Companies
collector or a credit bureau
Top Issue

Companies with Most Inc. Complaints

# Company Complaints
1 Dates of said procedure 32
2 Inc. 4
3 I am experiencing emotional distress as a direct result of their actions. Under 15 U.S. Code 1692k ( a ) ( 1 ) 3
4 must provide account-level documentation. 3
5 XXXX 2
6 the federal statute on identity theft. 2
7 specifically 15 U.S.C. 1681s-2 ( b ). XXXX continues to report inaccurate and unverifiable information on my credit reports after being notified of multiple disputeswithout conducting a legally compliant investigation. 2
8 led by former North Carolina Banking Commissioner XXXX XXXX. According to : ( Source ) ttps : //nationalsuntrustsettlement.com/ Based on reports released 1
9 Inc. continues to try to collect this fraudulent debt with full knowledge that it is fraud. 1
10 and 1681s-2 ( a ). Despite my numerous disputes 1
11 TX XXXX the information is inaccurate and false. 1
12 the Branch Manager XXXX XXXX continues bombard me with collection letters 1
13 contract or fiduciary obligation under federal law that requires payment to such parties. 1
14 TX XXXX. 1
15 and did not review the evidence I provided. 1
16 no such action was taken. Furthermore 1
17 ( AWA ) aware of their multiple violations. Adler Wallach & Associates 1
18 need to provide a copy of it. Again violating the 2015 Consent Orders. I am asking for them to remove negative credit reporting from all 3 credit bureaus.,,ENCORE CAPITAL GROUP INC.,TX,78045,,Consent provided,Web,2021-03-16,Closed with explanation,Yes,N/A,4217263 1
19 failure to provide validation was determined to be a violation of both the FDCPA and state laws. 1
20 the court ruled that continuing collection activities without validating the debt violates the FDCPA. 1
21 Inc. failed to enroll me in the hardship program 1
22 Inc. obey the Court 's Orders 1
23 to get my identity through the phone. Once I identified myself 1
24 Experian communicated the dispute notice and supplied documents to XXXX. Upon receiving responses from XXXX 1
25 559 U.S. 573 ( 2010 ) held that a debt collector who makes an incorrect statement of law in communications FDCPA 's bona fide error defense 1
26 in Costa v. 1
27 Inc. has or had any authority to conduct acts listed above. Therefore 1
28 INC,TX,76063,,Consent provided,Web,2021-01-08,Closed with explanation,Yes,N/A,4057406 1
29 2016. Assuming the payment clears 1
30 I made clear that I never received their response within the allotted time as per above. Next 1
31 XXXX ) : The FCRA prohibits a consumer reporting agency from denying a fraud block based on technical omissions when the statutory elements are otherwise met. '' IV. FTC XXXX Also Refutes TransUnions Claim : According to the FTC 's XXXX Identity Theft Guidance to CRAs : A police report is sufficient even if it doesnt list each account by name. A consumer can supplement a report with an affidavit identifying specific accounts for blocking. '' V. Final Demand : Given the clear statutory text 1
32 please provide verification through audit certification of debt entry in accordance with G.A.A.P. 1
33 Inc. will never look at or accept. ) A total owing amount 1
34 am notifying you that I dispute this alleged debt pursuant to 15 USC 1692g. I REQUEST THAT YOU PROVIDE ME WITH VERIFICATION OF THIS ALLEGED DEBT. VERIFICATION CONSIST OF PROOF THAT THIS ALLEGED DEBT BELONGS TO ME 1
35 I am not responsible for the dollar amount 1
36 prior to furnishing it on my consumer report 1
37 and will continue to be burdening me with the new mortgage and related moving forward unresolved between us. 1
38 even in light of the Spokeo decision. 1
39 he requests that Caliber delete all information related to the loan with the Credit Reporting Agencies ( CRAs '' ). 1
40 which often compile 1
41 penalties or other fees arising from or accruing as a result of that transaction or my failure and refusal to pay that charge ). I have attempted to dispute the charge with Barclays through Barclays prescribed procedures and have not been successful in getting any assurances from Barclays that Barclays will not seek to hold me liable for the full {$31000.00} in XXXX XXXX Transaction. 1
42 XXXX XXXX XXXX XXXX XXXX XXXX 1
43 to require consumer reporting agencies to adopt reasonable procedures for meeting the needs of commerce for consumer credit 1
44 I wanted to speak to XXXX XXXX XXXX to receive a copy of the bill first. I was then put on hold and a very aggressive female took my call next. She was extremely rude 1
45 700 F. Supp. 2d 1276 ( W.D. Wash. 2010 ) ). In my dispute to the credit reporting agency on XX/XX/XXXX 1
46 despite these efforts 1
47 or any other method of contact pertaining to this matter. This includes contact made directly by your agency or through any affiliates 1
48 and this matter will be escalated to federal court if these violations persist. 1
49 Appellant 1
50 increasing unpaid principal balances 1

Source: CFPB Consumer Complaint Database CFPB Consumer Complaint Database

What the CFPB Record Shows for Inc.

101 consumer complaints have been filed with the CFPB under the "Inc." product category, naming 60 distinct companies as the respondent. Product-level complaint counts are one of the most direct signals of where consumer friction is concentrated in the U.S. financial system — the CFPB routes each filing to the specific regulatory framework that governs its product class, so the volume here reflects real intake into federal and state consumer-protection channels, not casual survey sentiment.

Within Inc., the single most common underlying consumer complaint is "collector or a credit bureau". Issue concentration inside a product category is often more diagnostic than headline volume: when one issue dominates filings, it usually points to a recurring servicing, billing, reporting, or collection pattern that touches many providers at once. The table above ranks individual companies by filing volume within this product line and includes their timely-response rate and the share of cases closed with relief — two operational metrics that help separate firms handling complaint intake smoothly from those where resolutions stall or get disputed.

Complaint volume scales with market share — the largest issuers and servicers in a category will naturally generate more filings than smaller peers even at identical complaint rates per customer. A complaint on record is a consumer allegation, not a proven violation, and a company's presence here does not imply it broke any law. Use this page to understand the contour of consumer concerns around Inc., then drill into specific companies and cross-check against the CFPB Consumer Complaint Database. This page is informational only and is not financial, legal, or regulatory advice.

Data source: CFPB Consumer Complaint Database. Product categories are defined by the CFPB. Complaint counts reflect consumer-reported data and do not imply wrongdoing by any company.

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