80_FR_15628 80 FR 15572 - Disclosure of Consumer Complaint Narrative Data

80 FR 15572 - Disclosure of Consumer Complaint Narrative Data

BUREAU OF CONSUMER FINANCIAL PROTECTION

Federal Register Volume 80, Issue 56 (March 24, 2015)

Page Range15572-15583
FR Document2015-06722

The Bureau of Consumer Financial Protection (the ``Bureau'') is issuing a final policy statement (``Final Policy Statement'') to provide guidance on how the Bureau plans to exercise its discretion to disclose publicly unstructured consumer complaint narrative data (``narratives'' or ``consumer narratives'') via its web-based, public facing database (the ``Consumer Complaint Database'' or ``Database''). Only those narratives for which opt-in consumer consent is obtained and a robust personal information scrubbing standard and methodology applied will be eligible for disclosure. The Final Policy Statement supplements and amends the Bureau's existing policy statements establishing and expanding the Consumer Complaint Database.\1\ ---------------------------------------------------------------------------

Federal Register, Volume 80 Issue 56 (Tuesday, March 24, 2015)
[Federal Register Volume 80, Number 56 (Tuesday, March 24, 2015)]
[Notices]
[Pages 15572-15583]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-06722]


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BUREAU OF CONSUMER FINANCIAL PROTECTION

[Docket No. CFPB-2014-0016]


Disclosure of Consumer Complaint Narrative Data

AGENCY: Bureau of Consumer Financial Protection.

ACTION: Final Policy Statement.

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SUMMARY: The Bureau of Consumer Financial Protection (the ``Bureau'') 
is issuing a final policy statement (``Final Policy Statement'') to 
provide guidance on how the Bureau plans to exercise its discretion to 
disclose publicly unstructured consumer complaint narrative data 
(``narratives'' or ``consumer narratives'') via its web-based, public 
facing database (the ``Consumer Complaint Database'' or ``Database''). 
Only those narratives for which opt-in consumer consent is obtained and 
a robust personal information scrubbing standard and methodology 
applied will be eligible for disclosure. The Final Policy Statement 
supplements and amends the Bureau's existing policy statements 
establishing and expanding the Consumer Complaint Database.\1\
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    \1\ Disclosure of Certain Credit Card Complaint Data, 77 FR 
37558 (June 22, 2012) (``2012 Notice of Final Policy Statement''); 
Disclosure of Consumer Complaint Data, 78 FR 21218 (Apr. 10, 2013) 
(``2013 Notice of Final Policy Statement'').

DATES: Applicability date: The Bureau will not publish any consented-to 
narrative for at least 90 days after publication in the Federal 
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Register.

FOR FURTHER INFORMATION CONTACT: Scott Pluta, Assistant Director, 
Office of Consumer Response, Bureau of Consumer Financial Protection, 
at (202) 435-7306.

SUPPLEMENTARY INFORMATION: 

    Authority:  12 U.S.C. 5492(a), 5493(b)(3), (d), 5496(c)(4), 
5511(b), (c), 5512, 5534(a), (b).

I. Overview

A. Final Policy Statement

    Under the Final Policy Statement, the Bureau extends its existing 
practice of disclosing data associated with consumer complaints via the 
Consumer Complaint Database to include narratives for which opt-in 
consumer consent is obtained and a robust personal information 
scrubbing standard and methodology has been applied. The purposes of 
the Consumer Complaint Database include providing consumers with timely 
and understandable information about consumer financial products and 
services, and improving the functioning, transparency, and efficiency 
of markets for such products and services. The Bureau believes that 
adding additional information to the Consumer Complaint Database, here 
narratives and structured company responses, is consistent with and 
promotes these purposes.

II. Background

A. Complaint System

    In the Bureau's previous notices of its policy statements, 
establishing and expanding the Consumer Complaint Database, the Bureau 
generally described how the Office of Consumer Response (``Consumer 
Response'') handles consumer complaints (collectively the ``Complaint

[[Page 15573]]

System'').\2\This Final Policy Statement does not affect how a 
consumer's complaint is substantively handled by the Bureau. Consumer 
Response screens all complaints submitted by consumers based on several 
criteria, including whether the complaint should be routed to another 
regulator and whether the complaint is complete. Screened complaints 
are forwarded via a secure web portal to the appropriate company. The 
company then has 15 calendar days to provide an initial response and up 
to 60 calendar days to provide a final response. Companies have the 
ability within these timeframes to respond administratively to the 
Bureau, e.g., responding that no commercial relationship exists between 
the complaining consumer and the company in question. Typically, the 
company reviews the complaint, communicates with the consumer as 
needed, and determines what action to take in response. After the 
company responds to the consumer and the Bureau via the secure company 
portal, the Bureau invites the consumer to review the response and 
provide feedback. Some complaints are individually reviewed by Consumer 
Response investigations staff. All complaints are subject to follow-up 
and further investigation by Consumer Response and other parts of the 
Bureau.\3\
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    \2\ 2012 Notice of Final Policy Statement, 77 FR at 37559 (June 
22, 2012); 2013 Notice of Final Policy Statement, 78 FR at 21219 
(April 10, 2013).
    \3\ The Complaint System is described in more detail in the 2013 
Consumer Response Annual Report (March 31, 2014) at: http://www.consumerfinance.gov/reports/2013-consumer-response-annual-report./
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    The Bureau makes publicly available some data it collects as part 
of its complaint handling function, while continually striving to 
protect the sensitive information contained within that data. One way 
the Bureau currently accomplishes this is by sharing some fields from 
de-identified individual-level complaint data with the public through 
the Consumer Complaint Database. The Database was launched on June 19, 
2012. It was initially populated with credit card complaint data but 
has since been expanded to include complaint data about other products, 
e.g., mortgages, bank accounts and services, student loans, vehicle and 
other consumer loans, credit reporting, money transfers, debt 
collection, payday loans, and prepaid cards. Data from complaints are 
disclosed in the Database the earlier of: (1) An initial response to 
the consumer and the Bureau (confirming a commercial relationship with 
the consumer) or (2) 15 calendar days after the complaint was sent to 
the company. Data from a complaint is not published in the Database if, 
among other reasons, the company suspects the complaint was submitted 
in furtherance of a fraud or it indicates to the Bureau that it does 
not have a commercial relationship with the consumer.

B. Overview of Public Comments

    In its Proposed Policy Statement Regarding Disclosure of 
Unstructured Narrative Data From Consumer Complaints and Company 
Responses (``Proposed Policy Statement''), the Bureau proposed 
expanding its Consumer Complaint Database to include narratives 
submitted by consumers as well as public-facing narrative responses 
from companies.\4\ The Bureau received 137 unique comments from, among 
others, consumer groups, trade associations, companies, and 
individuals. In some cases, several organizations jointly submitted a 
single comment letter. One financial reform organization, Americans for 
Financial Reform (``AFR''), submitted a single set of comments on 
behalf of 49 consumer, civil rights, privacy, and open government 
groups.\5\ The Bureau reviewed unique comments from 39 individuals, as 
well as substantially identical comment letters from approximately 
30,000 individuals expressing support for the Proposed Policy 
Statement.
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    \4\ Disclosure of Consumer Complaint Narrative Data, 79 FR 
42765, 42767 (July 23, 2014).
    \5\ This group included: Americans for Financial Reform; 
Alliance for a Just Society; Arkansas Community Organization; 
California Reinvestment Coalition; Connecticut Citizen Action Group; 
Center for Digital Democracy; Center for Responsible Lending; 
Community Legal Services, Philadelphia; Connecticut Fair Housing 
Center; Consumer Action; Consumer Federation of America; Consumers 
for Auto Reliability and Safety; Consumer Watchdog; Demos; 
Electronic Privacy Information Center; Empire Justice Center; 
Florida Alliance for Consumer Protection; Home Defenders League; 
International Union, United Automobile, Aerospace & Agricultural 
Implement Workers of America (UAW); Keystone Progress; Leadership 
Conference on Civil and Human Rights; Massachusetts Consumers' 
Coalition; MASSPIRG; Miami Valley Fair Housing Center, Dayton, Ohio; 
Missourians Organizing for Reform and Empowerment; NAACP; National 
Association of Consumer Advocates; National Consumer Law Center (on 
behalf of its low income clients); National Council of La Raza; 
National Fair Housing Alliance; National People's Action; New 
Economy Project; New Jersey Citizen Action; New Jersey Communities; 
United Oregon Consumer League; Privacy Rights Clearinghouse; Privacy 
Times; Project on Government Oversight; Public Citizen; Public 
Justice Center; South Carolina Appleseed Legal Justice Center; 
Southwest Center for Economic Integrity; Texas Legal Services 
Center; The Institute for College Access and Success; U.S.PIRG; 
Virginia Citizens Consumer Council; Woodstock Institute; and the 
World Privacy Forum.
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    Commenters provided feedback on numerous aspects of the Proposed 
Policy Statement. Almost all comments concerned the expansion of the 
Database to include narratives. Companies and their trade associations 
generally opposed the inclusion of narratives in the Database. Many 
industry commenters asserted that the publication of ``unverified'' 
consumer narratives would unfairly damage the reputations of companies. 
Several trade associations also commented that inclusion of 
unstructured narratives is contrary to the Bureau's stated mission of 
being data-driven.
    Per the AFR's comment letter, consumer, civil rights, privacy, and 
open government groups supported the inclusion of narratives, asserting 
that among other things narratives would: ``(1) Empower consumers with 
timely, valuable information pre-purchase, in order to prevent problems 
and reward companies that respect their customers, and post-purchase, 
in order to report unreasonable, unfair or deceptive practices and 
alert others in advance of problems; (2) allow others to assist the 
Bureau in detecting destructive patterns before they do extensive 
damage; and (3) encourage more people to use the Database, as it 
becomes a more useful tool, creating a cycle of increased information 
about consumer experiences in the financial services marketplace.'' 
These groups and individual commenters endorsed the goals underlying 
the publication of consumer narratives.
    Several commenters focused on normalization, or the use of some 
metric to provide context for data, for example, by including 
information on the number of accounts a company has for each particular 
product or service. Some industry commenters noted the risk of 
potential consumer re-identification and the impact certain laws may 
have on a company's ability to respond publicly to a consumer's 
complaint. Both trade associations and consumer groups submitted 
written comments advising the Bureau to be mindful of the privacy risks 
associated with narrative publication. Nonetheless, four nationally 
recognized privacy groups--Electronic Privacy Information Center, 
Privacy Rights Clearinghouse, Privacy Times, and World Privacy Forum--
signed AFR's comment letter in support of the Proposed Policy 
Statement. Additionally, Privacy Rights Clearinghouse submitted an 
individual comment generally supportive of disclosing narratives.
    Many submissions included comments directed to the Bureau's method 
of processing consumer

[[Page 15574]]

complaints, i.e., the Complaint System. To the extent that these 
comments also related to the scope of the Proposed Policy Statement, 
the Bureau addresses them below. Whether addressed below or not, the 
Bureau welcomes operational feedback and intends to continue to refine 
its Complaint System over time.\6\
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    \6\ Consumer Response maintains several feedback mechanisms for 
participants in the Complaint System and has plans to expand this 
capability over time.
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III. Summary of Comments Received, Bureau Responses, and Resulting 
Policy Statement Changes

    This section provides a summary of the comments received by subject 
matter to the Proposed Policy Statement. It also summarizes the 
Bureau's assessment of the comments by subject matter and, where 
applicable, describes the resulting changes that the Bureau is making 
in the Final Policy Statement including a change to how companies may 
respond publicly to individual complaints. All such changes concern the 
Consumer Complaint Database. There are no policy changes regarding the 
Bureau's issuance of its own complaint data reports, e.g., the Consumer 
Response Annual Report.

A. The Policy Statement Process

    The Bureau is committed to transparency and robust engagement with 
the public regarding its actions. Although not required by law to do 
so, the Bureau voluntarily solicited and received public comments on 
the Proposed Policy Statement. A few commenters requested a 60-day 
response period as opposed to the 30 days originally provided, a 
request the Bureau granted.\7\ The Bureau received substantial public 
feedback expressing a range of viewpoints, and it has carefully 
considered the comments received, as described in detail below. As 
stated in the Final Policy Statement, the Bureau plans to monitor the 
effectiveness of its policy on an ongoing basis and to continue to 
engage with the public, including regulated entities, as it assesses 
the efficacy of the Final Policy Statement.
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    \7\ Disclosure of Consumer Complaint Narrative Data, 79 FR 45183 
(Aug. 4, 2014).
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    Several commenters commended the Bureau on providing the 
opportunity to comment on the Proposed Policy Statement. A number of 
trade associations commented that the proposal could not be finalized 
in a general statement of policy and was instead a binding legislative 
rule subject to the procedural requirements of notice and comment 
rulemaking.\8\ Several of these groups argued that rulemaking was 
required because the policy would obligate companies to provide public 
responses or else suffer reputational harm from unanswered complaint 
narratives. Some groups stated that the policy would impose new duties 
on the Bureau to verify the details contained in the narratives or to 
protect consumer privacy by removing information that could lead to 
consumer re-identification. Two groups commented that Sec.  
1022(c)(6)(A) of the Dodd-Frank Act, which requires the Bureau to issue 
rules concerning the confidential treatment of information, dictates 
that any decision involving confidential information has to be enacted 
as a legislative rule.\9\ These groups also commented that the proposal 
would effectively amend the Bureau's existing privacy regulations by 
releasing confidential information and therefore had to be enacted 
through notice and comment. Two groups pointed to the example of the 
Consumer Product Safety Commission, which provided details about its 
statutorily mandated database of consumer product safety complaints via 
a legislative rule. The groups argued that the Bureau was required to 
follow the same process in announcing this policy. Finally, several of 
these groups suggested that the importance of releasing consumer 
narratives or the interest in transparency meant that full notice and 
comment procedures were required.
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    \8\ The Administrative Procedure Act exempts general statements 
of policy from notice and comment. 5 U.S.C. 553(b)(A).
    \9\ 12 U.S.C. 5512(c)(6)(A).
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    The Final Policy Statement is meant to inform the public about the 
Bureau's intended use of its discretionary authority to release certain 
de-identified information. The planned addition of narratives to the 
Consumer Complaint Database is properly the subject of a policy 
statement and does not require formal rulemaking.\10\ The Bureau has 
made minor changes to the Final Policy Statement to clarify its nature 
as a general statement of policy. The policy neither binds private 
parties with any legal responsibilities nor creates any legal rights. 
As the Final Policy Statement makes clear, companies are under no 
obligation to recommend public-facing responses and will face no legal 
consequences by declining to do so. That some companies may decide it 
is worthwhile to recommend a public response does not rise to the level 
of a legal obligation.\11\ For their part, consumers are under no 
obligation to opt in to sharing their stories, as the consent language 
will make clear by stating that the decision whether to provide consent 
for public disclosure does not otherwise affect how the Bureau handles 
the complaint.
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    \10\ To the extent any features of this policy were considered 
binding on any party, the Bureau believes they would constitute 
procedural rules, which are likewise exempt from the requirements of 
notice and comment. 5 U.S.C. 553(b)(A).
    \11\ See Ctr. for Auto Safety v. Nat'l Highway Traffic Safety 
Admin., 452 F.3d 798 (D.C. Cir. 2006) (agency's general statement of 
policy was not a binding legislative rule simply because it had 
practical effects, rather than legal consequences, for private 
parties). Several commenters rely on Electronic Privacy Information 
Center v. Department of Homeland Security, 653 F.3d 1 (D.C. Cir. 
2011), but the Bureau does not believe that case supports their 
argument. The agency action in that case, in the court's view, 
imposed legally binding requirements on airline passengers to go 
through heightened security procedures or be barred from entering 
airport boarding areas. The opportunity to provide a public response 
narrative does not impose any similar binding requirement.
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    The Bureau is also not binding itself with new legal duties. As 
explained below, the Bureau is not committing to verify the details 
contained in each complaint narrative. Although the Bureau plans to 
scrub identifying information from the consumer narratives, it intends 
to do so in order to assist consumers and ensure its compliance with 
existing laws, rather than through the assumption of such a duty 
through the present Final Policy Statement. The addition of narratives 
to the Consumer Complaint Database is also in keeping with the Bureau's 
stated intent to continue refining the way it receives, shares, and 
makes use of consumer complaint information as well as with its past 
practice of making improvements to the Database.\12\ As part of 
advancing that effort, and in response to comments it received in 
response to the Proposed Policy Statement, the Bureau is also 
publishing a Request for Information on how it might create or enhance 
opportunities for consumers to share accounts of positive experiences 
they have had with providers of consumer financial products and 
services.
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    \12\ See 2013 Notice of Final Policy Statement, 78 FR at 21226 
(announcing planned changes to Public Complaint Database and stating 
Bureau's intention to study and solicit further public feedback on 
the efficacy of its complaint policies)(April 10, 2013); 2012 Notice 
of Final Policy Statement, 77 FR at 37568 (same)(June 22, 2012).
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    The suggestion that Sec.  1022(c)(6)(A) requires the Bureau to 
finalize this policy as a legislative rule is unpersuasive. That 
provision mandates that the Bureau ``prescribe rules regarding the 
confidential treatment of information'' it obtains in exercising its 
authorities. The Bureau has previously prescribed rules regarding the

[[Page 15575]]

confidential treatment of information.\13\ The disclosure contemplated 
by this policy is consistent with those rules, and therefore does not 
require an amendment to those rules. Finally, as noted previously, 
several commenters contend that the past practice of the Consumer 
Product Safety Commission, the general interest in transparency, or the 
importance of releasing consumer narratives require the Bureau to 
proceed via legislative rulemaking. None of these factors provides a 
legal basis for concluding that notice and comment rulemaking is 
required under the Administrative Procedure Act. The Bureau also notes 
that it has made the policy process transparent by voluntarily 
soliciting public comment and extending the comment period from 30 to 
60 days.
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    \13\ Disclosure of Records and Information, 78 FR 11484 (Feb. 
15, 2013).
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B. Legal Authority for Consumer Complaint Database

    In the Bureau's previous notices of its policy statements 
establishing and expanding the Consumer Complaint Database, the Bureau 
addressed in detail several comments related to the Bureau's authority 
to establish a Database.\14\ Several comments in response to the 
Proposed Policy Statement implicate the same or similar arguments 
concerning the Bureau's legal authority. The Bureau directs readers to 
and incorporates its prior discussions, and clarifies portions here.
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    \14\ 2012 Notice of Final Policy Statement, 77 FR at 37560-61 
(June 22, 2012); 2013 Notice of Final Policy Statement, 78 FR at 
21220 (April 10, 2013).
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    As was true with respect to the Bureau's prior two policy 
statements, commenters contend that the Dodd-Frank Act expressly 
delineates the circumstances and manner in which the Bureau may 
collect, resolve, and share consumer complaints with others, and that a 
public-facing database is not explicitly included. Therefore, by 
adverse inference, they assert that the Dodd-Frank Act does not 
authorize the Database.
    Similarly, as was true with respect to the Bureau's prior policy 
statements, commenters argue that Sec.  1034 of the Dodd-Frank Act, 
which requires the Bureau to establish ``reasonable procedures to 
provide a timely response to consumers . . . to complaints against, or 
inquiries concerning, a covered person,'' \15\ does not authorize the 
creation of a public-facing complaint database that, instead of aiding 
complainants, enables data mining and market research. Commenters also 
make arguments, similar to past comments, that Sec.  1021 and Sec.  
1022 do not expressly grant authority for the Bureau to establish a 
public-facing database or disclose consumer complaint narratives to the 
public.\16\ They also contend that the Dodd-Frank Act's restrictions on 
publishing confidential information block the implementation of such a 
database, including narratives.
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    \15\ 12 U.S.C. 5534(a).
    \16\ Two commenters point to American Petroleum Institute v. 
SEC, 953 F. Supp. 2d 5 (D.D.C. 2013), in support of the argument 
that the Bureau lacks authority for the Database. In that case, the 
SEC contended that a statutory provision unambiguously required 
public disclosure of certain annual reports from regulated entities. 
The court held that the provision did not unambiguously require 
public disclosure and that the SEC had improperly cabined its 
discretion. Id. at 12-18. The Bureau believes American Petroleum 
Institute does not suggest the Bureau lacks authority to disclose 
consumer complaint narratives. That case addressed statutory 
provisions not at issue here. Moreover, the Bureau acknowledges its 
discretion with respect to the public disclosure described in the 
Policy Statement, and it does not believe that such disclosure is 
unambiguously required under the statute.
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    The Bureau has considered these comments and concluded that the 
Database is authorized by the Dodd-Frank Act. Among other things, Sec.  
1013(b)(3) authorizes the establishment of a unit ``whose functions 
shall include establishing a single, toll-free telephone number, a Web 
site, and a database or utilizing an existing database to facilitate 
the centralized collection of, monitoring of, and response to consumer 
complaints regarding consumer financial products or services.'' \17\ 
Section 1034(a) directs the Bureau to establish ``reasonable procedures 
to provide a timely response to consumers, in writing where 
appropriate, to complaints against, or inquiries concerning, a covered 
person . . .,'' and Sec.  1034(b) provides that ``[a] covered person 
subject to supervision and primary enforcement by the Bureau pursuant 
to section 1025 shall provide a timely response, in writing where 
appropriate, to the Bureau, the prudential regulators, and any other 
agency having jurisdiction over such covered person concerning a 
consumer complaint or inquiry. . . .''\18\ These provisions require and 
establish conditions for specific methods of disclosure and responses, 
but do not express or imply any limit on the Bureau's authority to 
disclose consumer complaint information in other ways. The Database as 
described would facilitate and supplement, not contravene, these 
provisions. The Database is reasonably encompassed within the Bureau's 
authorities, especially in light of the Bureau's other statutory 
objectives and functions, including promoting financial education, 
providing timely information, and ensuring that markets operate 
transparently.\19\ In addition, with prescribed limitations, the Bureau 
has broad discretionary authority to release information obtained 
during the exercise of its statutory functions and the Database, as 
described in the Proposed Policy Statement, would not contravene any 
legal constraints on the Bureau.
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    \17\ 12 U.S.C. 5493(b)(3)(A).
    \18\ 12 U.S.C. 5534(a) & (b).
    \19\ 12 U.S.C. 5511.
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    Publication of such information would also be authorized by the 
Bureau's express authority pursuant to Sec.  1022 to make certain 
information, including information from consumer complaints, public: 
Section 1022(c)(3)(B) states that the Bureau ``may make public such 
information obtained by the Bureau under this section as is in the 
public interest, through aggregated reports or other appropriate 
formats designed to protect confidential information in accordance with 
paragraphs (4), (6), (8), and (9).'' \20\ This subparagraph permits the 
Bureau to disclose consumer complaint information in a non-aggregated 
format as long as the format is designed to protect confidential 
information in accordance with other specific provisions of Sec.  
1022(c). The Database would satisfy those criteria.
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    \20\ 12 U.S.C. 5512(c)(3)(B) (emphasis added).
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    The disclosure of information contemplated by this policy is also 
consistent with subpart D of the Bureau's Final Rule on the Disclosure 
of Records and Information,\21\ which the Bureau promulgated pursuant 
to Sec.  1022(c)(6). Commenters are correct to point out that subpart D 
generally restricts the authority of the Bureau to publicly disclose 
``confidential information,'' including ``confidential consumer 
complaint information.'' \22\ However, such disclosure restrictions 
only apply to the extent that consumer complaint information is 
confidential in nature. The Bureau's regulations define ``confidential 
consumer complaint information'' to mean ``information received or 
generated by the [Bureau], pursuant to [sections 1013 and 1034 of the 
Dodd-Frank Act], that comprises or documents consumer complaints or 
inquiries concerning financial institutions or consumer financial 
products and services and responses thereto, to the extent that such 
information is exempt from disclosure

[[Page 15576]]

pursuant to 5 U.S.C. 552(b) [FOIA].'' \23\Because the information to be 
disclosed in the public database is disclosed with the consumer's 
express consent and not exempt from disclosure under FOIA, such 
information does not constitute ``confidential consumer complaint 
information.'' Accordingly, Sec.  1022(c)(6)(A)'s grant of authority to 
issue rules regarding when the Bureau will treat information 
confidentially does not limit the Bureau's discretion to disclose 
information consistent with those rules, but provides further authority 
for the policy.
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    \21\ 12 CFR 1070.40 through 1070.47.
    \22\ 12 CFR 1070.41 (prohibiting Bureau employees from 
disclosing confidential information other than as provided in 
subpart D); 12 CFR 1070.2 (defining ``confidential information'' to 
include ``confidential consumer complaint information'').
    \23\ 12 CFR 1070.2(g).
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    Furthermore, the Bureau intends to obtain consent from consumers to 
publish their complaint narratives. Obtaining written consent for 
disclosure aligns with requirements of 1022(c)(8), FOIA, the Privacy 
Act, and the Bureau's confidentiality rules. The Bureau does not intend 
to release a narrative until the consumer expressly consents to 
publication and the Bureau has determined that the narrative has been 
de-identified according to a robust scrubbing standard.

C. The Impact of the Disclosure of Consumer Complaint Narratives on 
Consumers

    Comments from consumer groups, open government groups, privacy 
groups, and individual commenters asserted that the publication of 
narratives would empower consumers to better understand the context of 
the data currently provided in the Consumer Complaint Database. The 
Reporters Committee for Freedom of the Press, on behalf of nine major 
news organizations and press trade associations, supported the 
publication of all narratives regardless of consent, stating that the 
Database is an invaluable resource for journalists as the experiences 
reflected in the narratives contribute to the public's understanding of 
the relationships between consumers and financial institutions and 
inform the ongoing democratic debate regarding financial regulation. 
Consumer groups added that consumer narratives would be a valuable 
resource for researchers to identify trends in the business practices 
of companies, particularly as they relate to traditionally underserved 
consumers.
    Some commenters noted that narratives would encourage companies to 
address the sources of common complaints. Consumer groups stated that 
the publication of narratives would allow companies to better compete 
through customer service, further increasing the improvement in 
customer care resulting from the introduction of the Database. Other 
consumer groups commented that narratives would aid consumer advocacy 
and legal aid groups in serving their communities by helping to 
identify local trends.
    Industry commenters, by contrast, asserted that the publication of 
narratives in the Database would mislead consumers because the data is, 
in the commenters' words, unverified and unrepresentative. And despite 
the fact that the Bureau confirms the existence of a commercial 
relationship before publishing complaints, multiple commenters 
expressed concern that complaints, and thus narratives, from 
individuals without a commercial relationship with the relevant company 
would appear in the Database.
    In general, the Bureau believes that greater transparency of 
information does tend to improve customer service and identify patterns 
in the treatment of consumers, leading to stronger compliance 
mechanisms and customer service. These have been features of the 
Consumer Complaint Database since its inception. In addition, 
disclosure of consumer narratives will provide companies with greater 
insight into issues and challenges occurring across their markets, 
which can supplement their own company-specific perspectives and lend 
more insight into appropriate practices. Other issues raised in the 
comments received by the Bureau are addressed below.
1. Consumer Narratives
a. Verification
    In its 2012 Notice of Final Policy Statement, the Bureau addressed 
several comments related to the disclosure of unverified consumer 
complaints. In response to the Proposed Policy Statement, several trade 
associations and companies continued to express concern, stating that 
unverified complaint narratives are likely to mislead consumers. Some 
trade associations suggested that the Bureau should only disclose 
narratives after a substantive investigation by the Bureau had been 
completed on that particular complaint. Some industry comments 
recommended distinguishing between unverified and verified complaints. 
Consumer groups and privacy groups, on the other hand, commented that 
the lack of verification presented minimal risk of misleading 
consumers.
    The Bureau incorporates its previous statements and analysis on 
this issue.\24\ The Bureau acknowledges that the Complaint System does 
not adjudicate the merits of each individual complaint disclosed in the 
Consumer Complaint Database, specifically stating on the Bureau's Web 
site that it does not ``verify the accuracy of all facts alleged in 
complaints.'' However, the Bureau does screen each complaint according 
to various criteria. The complaint is reviewed to determine whether it 
should be routed to another regulator. A determination is made whether 
each submission is a complaint, an inquiry, or feedback. Submissions in 
the latter two categories are not forwarded to the identified company 
for handling as complaints. Importantly, the commercial relationship 
between the company and the consumer is verified before disclosing it 
in the Database. The Bureau also verifies that the complaint is 
submitted by the identified consumer or by his or her specifically 
authorized representative before disclosure in the Database. Lastly, 
complaints are only forwarded to companies when they contain the 
required fields, including the complaint narrative, the consumer's 
requested resolution, and the consumer's contact information. The 
Bureau believes that with the information currently made public, 
supplemented by the contextual richness of the de-identified 
narratives, the public and the marketplace will have the capacity to 
assess all the data with the appropriate level of confidence.
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    \24\ 2012 Notice of Final Policy Statement, 77 FR at 37561 (June 
22, 2012); 2013 Notice of Final Policy Statement, 78 FR at 21221 
(April 10, 2013).
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b. Manipulation
    Several trade associations and companies commented that third 
parties like debt negotiation companies could use complaint submission 
as a strategic tool to unfairly aid their clients. A company commenter 
claimed that at least one outside party has been using the company's 
name unlawfully to defraud consumers, and that several complaints have 
been mistakenly lodged against the company as a result. Specifically, a 
third party was contacting consumers under the name of the other 
company to collect money and defraud consumers, and subsequently, 
several consumers lodged complaints against the other company.
    The Complaint System has a number of protections against 
manipulation. These protections were addressed in the 2012 Notice of 
Final Policy Statement.\25\ For example, while the process of 
submitting a complaint is designed to be user-friendly and 
straightforward, it does require deliberate action and a moderate time 
commitment by the consumer. According to the Bureau's

[[Page 15577]]

own calculations, the average amount of time required to complete a 
complaint submission via the Web site is eight minutes. Consumers must 
also affirm to the government that the information they provide is true 
to the best of their knowledge and belief. Again, the commercial 
relationship between the consumer and company is confirmed by the 
company before any complaint data is disclosed in the Consumer 
Complaint Database. With regard to the example provided regarding 
fraudulent use of a company's identity: (1) Companies have the ability 
to alert the Bureau via an administrative response of any suspected 
fraud; (2) if properly identified by the company, such complaints do 
not appear in the Database; (3) if the Bureau finds any pattern of 
fraud by any entity within its jurisdiction, the Bureau can bring 
appropriate enforcement actions; and (4) in sending such complaints to 
the company, the Bureau is assisting company operations in quickly 
identifying and addressing instances of potential fraud.
---------------------------------------------------------------------------

    \25\ 2012 Notice of Final Policy Statement, 77 FR at 37562 (June 
22, 2012).
---------------------------------------------------------------------------

c. Misidentification
    Several trade associations and companies commented that consumers' 
confusion about consumer financial products and services would lead to 
mistaken identification of the company against which the complaint is 
lodged. For example, one company commented that a consumer is likely to 
lodge a complaint against a credit reporting agency, when the 
consumer's complaint should be against the data furnisher. Trade 
associations and other commenters suggested the inclusion of company 
relationships. For example, one consumer group recommended including 
the parent company when that company has multiple subsidiaries against 
which complaints are lodged.
    As previously noted, companies have the ability to notify the 
Bureau if no commercial relationship exists between the consumer and 
the company; such complaints are not suitable for disclosure in the 
Consumer Complaint Database. Regarding the credit reporting example 
that was provided, the Bureau empowers the consumer to elect whom to 
submit a complaint against (dependent, as noted, on an existing 
commercial relationship). Specific to the suggestion regarding inter- 
and intra-company relationships, the Bureau is exploring expansion of 
the Database to include additional company relationship information.
d. Positive Feedback
    Several trade associations and companies commented that the 
Consumer Complaint Database should include positive narratives about 
companies in conjunction with complaint narratives. One commenter 
suggested that if the Database is to function as a marketplace of 
ideas, then it should reflect the entire market and not solely 
consumers submitting complaints. Several trade associations stated that 
if the Database is to be likened to private web-based review sites, 
then positive feedback is necessary.
    Consistent with these comments, the Bureau believes that the Bureau 
should share data that provides an unbiased perspective on company 
behavior toward consumers. At present, the Bureau already collects and 
shares some elements of positive feedback regarding company complaint 
handling. For example, the Consumer Complaint Database currently 
discloses information that can be used to highlight positive company 
behavior, e.g., companies with timely responses or low consumer dispute 
rates. However, the Bureau intends to further explore ways in which 
positive company behavior may be highlighted. Concurrent with the Final 
Policy Statement, the Bureau is publishing a Request for Information to 
solicit and collect input from the public on the potential collection, 
identification, and sharing of data and feedback specific to positive 
interactions with providers of consumer financial products and 
services.
e. Language Access
    Several consumer groups commended the accessibility of the Bureau's 
contact center, with translation available in over 180 languages. These 
groups requested that the Bureau make the online complaint submission 
form available in multiple languages.
    In addition to telephone support for non-English speaking 
consumers, the Bureau plans over time to make its online complaint 
intake form on consumerfinance.gov available in Spanish, and 
subsequently to explore making the form available in other languages as 
well. The Bureau is committed to providing persons with limited English 
proficiency meaningful access to its programs and services.
f. Third Party Submissions and Referrals
    Several trade associations and companies raised concerns that 
narratives from third parties without authority to make a complaint on 
behalf of a consumer nevertheless would be published, and companies 
would be compelled to respond publicly. The Conference of State Bank 
Supervisors requested clarification on whether narratives within 
complaints referred from other government agencies would be disclosed.
    This Final Policy Statement does not apply to complaints submitted 
by any third parties or via agency referral, and the Bureau does not 
intend to disclose such narratives at this time. The Complaint System 
affords companies the opportunity to alert the Bureau if they are 
unable to verify the commercial relationship with the consumer who 
submitted the complaint before the complaint is disclosed in the 
Consumer Complaint Database.
2. Company Responses
    In its Proposed Policy Statement, the Bureau stated that:

Where the consumer provides consent to publish their narrative, the 
related company will be given the opportunity to submit a narrative 
response for inclusion in the Consumer Complaint Database. The 
company will be instructed not to provide direct identifying 
information in its public-facing response, and the Bureau will take 
reasonable steps to remove personal information from the response to 
minimize (but not eliminate) the risk of re-identification. The 
Company Portal will include a data field into which companies have 
the option to provide narrative text that would appear next to a 
consumer's narrative in the Consumer Complaint Database.\26\
---------------------------------------------------------------------------

    \26\ Disclosure of Consumer Complaint Narrative Data, 79 FR at 
42768 (July 23, 2014).

    The Bureau received comments from companies and trade associations 
arguing that, because of business and legal considerations, they would 
be limited in their ability to provide meaningful public-facing 
unstructured narrative responses and that such responses would be 
impracticable or unhelpful. In response, the Bureau intends to adopt an 
alternative approach based on structured company responses, as 
discussed below.
a. Quality of Company Responses
    Trade associations and companies both questioned the fairness of 
publicly disclosing consumer narratives because they argued that, under 
the Bureau's proposal, companies would be limited in their ability to 
provide public-facing unstructured narrative responses. Several 
companies, trade associations and individual commenters expressed 
concern that their ability to provide meaningful public-facing 
unstructured narrative responses would be limited by laws such as the 
Gramm-Leach-Bliley Act and Regulation P, the Fair Credit Reporting Act 
and Regulation V, and the Fair Debt Collection Practices Act. 
Commenters argued that, under the

[[Page 15578]]

Bureau's proposal to permit voluntary narrative company responses, they 
might not be able to provide any public-facing response at all due to 
legal, business, and reputational considerations. These commenters 
argued that frank responses may be viewed negatively by the public and 
companies would be discouraged from attempting to articulate 
individualized responses. They argued that, in practice, voluntary 
public-facing company responses would not provide the balance suggested 
in the Proposed Policy Statement. Some commenters suggested various 
ways the Bureau could mitigate these concerns, including providing 
specific interpretive guidance. Consumer groups stated that making 
consumer narratives and company responses public would allow for 
consumers to make individual determinations regarding the quality of 
the company's service.
    Responsive to company and trade association feedback, the Bureau 
acknowledges that unstructured company narratives may not effectively 
provide companies with a mechanism to balance a consumer's narrative. 
Therefore, the Bureau intends to provide companies with a finite list 
of optional structured responses from which they can choose. Within the 
secure web portal companies use to respond to complaints, the Bureau 
intends to add a set list of company responses, giving companies the 
ability to recommend a public-facing response addressing the substance 
of the consumer's complaint. Companies will be under no obligation to 
avail themselves of this opportunity. The Bureau plans to adopt company 
recommendations as a general matter, but it reserves discretion to 
assess whether there are good-faith bases for the recommendations. In 
addition, the Bureau plans to assess its review process over time. The 
Bureau plans for this functionality to apply to all consumer complaints 
disclosed via the Consumer Complaint Database (and not only those with 
consumer consent to disclose the associated narrative).
    Although this approach was not specifically proposed by commenters, 
the Bureau believes that it should eliminate or significantly mitigate 
the concerns, raised by companies, arising from the risk of public 
disclosure of protected confidential information. Companies that 
voluntarily decide to provide a public-facing response will not be put 
in a position of assessing what level of detail will address a 
complaint while protecting confidential information. The Bureau 
believes companies will be more likely to recommend public-facing 
structured responses than they would be to provide unstructured public-
facing responses, and that the reputational risks of recommending 
structured responses will be lower. The Bureau also believes that this 
approach will lead to more standardized information that may facilitate 
the Bureau's other functions and goals with respect to the Consumer 
Complaint System, such as monitoring and reporting on complaints.
    Companies are ultimately responsible for ensuring their compliance 
with all legal requirements. The Bureau believes that its approach of 
making public-facing structured responses voluntary allows companies 
sufficient flexibility to assess legal, business, reputational, and 
other considerations relevant to the decision of whether to provide 
public-facing responses. Finally, while providing an opportunity for 
public-facing structured company responses offers significant benefits, 
the Bureau notes that the benefits of publicly disclosing unstructured 
consumer complaint narrative data, as explained in this Final Policy 
Statement, justify such disclosures, even absent an opportunity for 
public-facing company responses.
b. Public and Private Company Responses
    The Bureau solicited feedback on whether any potentially public-
facing company response should be distinct and in addition to the 
response companies currently send directly to the consumer. Several 
companies and trade associations commented that it should be distinct 
as the public response will have to be adapted to conform to applicable 
privacy laws. Several consumer groups and one company, on the other 
hand, commented that the same response, but in redacted form, should be 
publicly displayed in order to provide the public with the necessary 
context to interpret the data. Some trade associations commented that 
it would be operationally burdensome to create two separate responses.
    The Bureau plans to ensure that companies have the option to 
provide both a private (to-consumer) response and recommended public-
facing structured (to be shared via the Database) response to a 
consumer's complaint. One of the principal benefits for consumers of 
the Bureau's complaint handling services is the requirement that 
companies respond to the consumer and the Bureau remains committed to 
keeping the focus on assisting consumers with their complaints. Based 
on data available in the Consumer Complaint Database, approximately 62% 
of complaints are ``closed with explanation'' and the majority of those 
(75%) are not disputed by the consumer. The Bureau is concerned that 
mandating that the to-consumer company responses be made public could 
have a chilling effect on well-received, detailed responses to 
consumers, potentially leading to higher consumer dispute rates. Based 
on comments received by companies on this issue, this concern would 
appear to be well founded. Allowing the company the choice to provide 
one very detailed private communication to its consumer, as well as a 
separate public-facing response, would address the Bureau's, companies' 
and consumers' interests on this issue.
c. Response Time
    Currently, companies have 15 days to provide an initial response to 
a consumer complaint. Several trade associations and companies 
commented that the response time should be extended in order to 
accommodate the drafting of a separate, public-facing response. Some 
comments recommended extending the initial response time to as many as 
60 days.
    The Bureau believes that the marginal increase in burden associated 
with voluntarily recommending a separate structured public response 
does not necessitate a deviation from the current complaint handling 
requirements, which themselves are designed to provide the complaining 
consumer with a timely response.
d. Timing of Narrative and Response Posting
    Trade associations, consumer groups, and individual commenters 
supported the simultaneous posting of the consumer narrative and 
company response. One consumer group recommended posting the consumer 
narrative after 15 days, and posting the company's public response as 
it becomes available. Several commenters recommended 45 days; one 
company recommended 60 days. One commenter recommended publication 
after 35 days, to align generally with timing provided under the Fair 
Credit Reporting Act for consumer reporting agencies to reinvestigate 
and respond to consumer disputes.
    There are at least three timing options regarding the disclosure of 
the consumer narrative and company response: (1) Disclose the consumer 
narrative and company response (if available) when the company provides 
an initial response, but no later than 15 days after the complaint is 
routed to the company (the system currently in place

[[Page 15579]]

for non-narrative complaint data), (2) disclose the consumer narrative 
and company response (if available) 15 days after the complaint is 
routed to the company, or (3) disclose the consumer narrative when the 
company provides its public-facing response, but no later than 60 days 
after the complaint is routed to the company. Under all three options, 
the complaint's structured closure responses would continue to follow 
the current disclosure timing (option number 1) and the consumer 
narrative would only be disclosed once it is scrubbed of personal 
information. However, only option three guarantees that a public-facing 
company response, to the extent one is provided within the 60-day 
period, would be disclosed contemporaneously with the consumer 
narrative.
    After careful consideration, therefore, the Bureau intends to adopt 
option number three. Option number one could force the company to 
choose between its desire to respond to and close complaints quickly 
versus its desire to provide an appropriate public facing response. 
Option number two may result in instances in which the company 
legitimately needs additional time, has appropriately communicated to 
the Bureau an ``in progress'' response (allowing for up to 60 days to 
respond), and yet the consumer narrative is made public on day 15 and 
possibly without an accompanying company response. Option three carries 
a similar risk to option number one, potentially creating the incentive 
for companies to delay providing an optional public-facing response for 
the full 60-day allowance (and thus delaying disclosure of the consumer 
narrative). However, erring on the side of fairness to companies by 
ensuring contemporaneous release, the Bureau plans to implement option 
three.
3. Maintaining the Complaint Database
a. Updates to Published Narratives
    Several consumer groups commented that consumers should be allowed 
to update narratives to inform the public of the status of the 
complaint. Some trade associations asked that consumers be provided the 
ability to remove their narratives if they are satisfied with the 
complaint resolution.
    Once given, at any point in the process, consumers will have the 
ability to withdraw their consent regarding publication of their 
narrative in the Consumer Complaint Database. At such time the 
consumer's narrative will be removed from the Database. However, data 
already downloaded by the public cannot be recalled by the Bureau. 
Based on the Bureau's experience to date reviewing consumer complaints, 
company responses, and ensuing resolutions, the Bureau believes that no 
additional back-and-forth functionality is necessary at this time.
b. Removal of Old Narratives
    Several trade associations and one company commented that 
complaints and narratives should be removed from the database after a 
given step in the process or given amount of time, e.g., quarterly.
    The Bureau believes that consumers and the marketplace are capable 
of independently assessing the value of complaints based in part on 
when those complaints were submitted and therefore has no plans to 
remove complaints from the Consumer Complaint Database based on their 
age or status.
c. Normalization
    Several trade associations and companies commented that the 
unstructured narrative data should be accompanied by information 
providing context to the company's profile, including how many 
transactions the company conducts per year, how many complaints are 
received, and how many complaints are satisfactorily resolved.
    The Bureau notes the general agreement by commenters that 
normalization would improve the quality of the data in the Consumer 
Complaint Database. As discussed in the Bureau's notices of its 
previous policy statements, data normalization is a complicated issue, 
and one that the Bureau is continuing to explore.\27\ The Bureau also 
notes that market participants, news organizations, and consumer groups 
can and have created normalized results.
---------------------------------------------------------------------------

    \27\ 2012 Notice of Final Policy Statement, 77 FR at 37564 (June 
22, 2012); 2013 Notice of Final Policy Statement, 78 FR at 21222 
(April 10, 2013).
---------------------------------------------------------------------------

d. Protected Group Information
    Several consumer groups requested the inclusion of protected group 
information, such as sex, ethnicity, race, age, disability, marital 
status, or national origin, on complaint submissions. These comments 
noted that it would be helpful to have this information to identify 
trends in companies' business practices.
    The Bureau agrees that the collection and public disclosure of 
protected group data has the potential to increase the quality of the 
dataset made available via the Consumer Complaint Database. However, 
there remain many open questions that the Bureau must first explore 
before moving forward on this suggestion, including the appropriateness 
of collecting protected group data, its representativeness, and the 
potential challenges with disclosing protected group data given the 
Bureau's sensitivity to re-identification risk.
    Furthermore, as discussed elsewhere, the Bureau's Database 
scrubbing standard would remove demographic information such as gender, 
age, and race, and ethnicity provided by consumers in the text of their 
narratives.

D. Consumer Consent to Disclose Narratives

1. Opt-in Consumer Consent
    Trade associations, consumer groups, and individual commenters 
supported the proposed opt-in feature requiring a consumer's consent in 
order for narratives to be eligible for publication. A trade 
association representing news organizations asserted its view that 
narratives are subject to disclosure under FOIA regardless of consumer 
consent. Based on this viewpoint, it urged that at most the Bureau 
should permit consumers to opt-out of publication as opposed to having 
to opt-in. Commenters also generally agreed that consumers should 
maintain the right to revoke their consent at any time.
    A central tenet of the Bureau's work is to empower consumers; 
providing them with the option to opt-in (as opposed to requiring them 
to opt-out) and the right to withdraw their consent to publication of 
their narrative in the Consumer Complaint Database at any time advances 
that end.\28\ With respect to the comment about the application of the 
FOIA to narratives, the Chief FOIA Officer is authorized to grant or 
deny any request for a record of the CFPB, in accordance with the 
requirements of the FOIA and the Bureau's regulations. 12 CFR 1070.15. 
If the Bureau receives FOIA requests for records that are not published 
in the Consumer Complaint Database pursuant to this Final Policy 
Statement, the Chief FOIA Officer will determine whether to grant the 
request, or to deny it due to the applicability of FOIA exemptions.
---------------------------------------------------------------------------

    \28\ ``Our Mission'' http://www.consumerfinance.gov/strategic-plan/.
---------------------------------------------------------------------------

2. Placement and Design of Consent
    Some commenters discussed the appearance of the opt-in form. 
Consumer groups requested that the opt-in be presented to the consumer 
early in the complaint process so that consumers can consider the 
implications as they draft their complaints. One company recommended 
providing the option to opt-in only once the consumer has received a 
response and has had the

[[Page 15580]]

opportunity to consider the implications of publication. Some consumer 
groups recommended that, to encourage publication, the opt-in option be 
displayed prominently on the consent form. Additionally, some 
commenters requested that consumers have a distinct field on the form 
in which they can specify what personal information they want excluded 
from their narrative.
    The Bureau plans to place the opt-in consent at the submission 
phase of the complaint. The Bureau believes the decision whether or not 
to consent is most appropriate at the actual time of complaint 
submission. This decision is consistent with the practice of the 
Consumer Product Safety Commission, which also obtains consent to 
disclose complaint narratives in its public-facing database.
3. Elements of Informed Consent
    Some commenters recommended including disclaimers with the opt-in 
feature that notify consumers of what the commenters perceived to be a 
risk of defamatory speech. Some trade associations and companies 
commented that the Bureau should inform consumers of the risks of 
narrative publication, including the possibility of re-identification. 
Trade associations and companies generally commented that the consumer 
should be notified of the company response procedure and risks of 
consenting to publication. One press group commented that the consumer 
should be notified that his or her narrative is subject (in the 
commenter's view) to FOIA disclosure. One consumer group commented that 
consumers should be notified that consenting to publication may provide 
additional assistance to other consumers facing similar issues. The 
Bureau agrees that when a consumer is making the decision whether or 
not to opt-in, it is essential that the consumer have the information 
to weigh appropriately the risks of consenting to the disclosure of 
their de-identified narrative against individual and public benefits of 
doing so. In support of that goal, in addition to the consent language, 
the Bureau intends to provide clear, easily understandable material 
describing the scrubbing standard, methodology, and publication 
process, the remaining risk to privacy, and the possibility of re-
identification. The Bureau is committed to continuously improving these 
materials over time to empower the consumer to make the most 
appropriate choice for his or her individual needs and circumstances.
    However, consumers do not waive any privacy interests they may have 
in the information merely by submitting it to the Bureau.\29\
---------------------------------------------------------------------------

    \29\ The Bureau emphasizes that the consent procedure described 
in the text for authorizing public disclosure of narratives may not 
be adequate to satisfy consent requirements under other statutes and 
regulations that the Bureau administers or enforces.
---------------------------------------------------------------------------

E. Personal Information Scrubbing Standard and Methodology

1. Scrubbing Standard and Methodology
    The Bureau requested feedback on the standard and methodology it 
intends to utilize for scrubbing personal information in the 
narratives. This scrubbing standard would be applied comprehensively to 
all data shared via the Consumer Complaint Database. Consumer groups 
offered comments supporting the proposed use of modified Health 
Insurance Portability and Accountability Act (``HIPAA'') standards for 
scrubbing narratives. Some companies expressed concern that significant 
identifiers associated with major life events may remain, 
notwithstanding the scrubbing process. One company commented that 
scrubbing should be applied to all identifying information, including 
references to third parties. Another company noted the differences 
between health data and unstructured narratives, expressing concern 
that a HIPAA-based methodology would not be effective and that the 
Bureau has not provided sufficient detail on the scrubbing mechanism to 
be used. One privacy organization recommended that the Bureau scrub 
company responses.
    The Bureau's Database scrubbing standard is modeled after the HIPAA 
Safe Harbor Method, which is generally considered to represent a best 
practice for de-identifying data. In addition to adopting most of the 
specific HIPAA identifiers, the Bureau also plans to remove: (1) 
Demographic information such as gender, age, race, and ethnicity; (2) 
appropriate analogues to HIPAA identifiers in the consumer financial 
domain, e.g., credit card numbers; and (3) identifiers which the Bureau 
knows appear in complaints and could reasonably be used to identify 
individuals, e.g., references to third parties other than the company 
that is the subject of the complaint. The scrubbing methodology 
contemplates a computer-based automated step and a quality assurance 
step or steps performed by human reviewers.
2. ZIP Codes
    The Bureau requested feedback on whether to disclose 5-digit ZIP 
codes alongside redacted narratives.\30\ By and large the responses 
that were received supported two options. The majority of commenters 
suggested the Bureau disclose 5-digit ZIP codes, except where 
population in the ZIP code contains fewer than 10,000 people. The 
second most cited option recommended disclosing full 5-digit ZIP codes, 
regardless of population. On the other extreme, one commenter suggested 
that ZIP codes should be excluded altogether, with state or county 
being used as the geographic identifier.
---------------------------------------------------------------------------

    \30\ Disclosure of Consumer Complaint Narrative Data, 79 FR at 
42769 (July 23, 2014).
---------------------------------------------------------------------------

    While the Bureau acknowledges the unique value of detailed 
geographic data, it is also acutely aware of the heightened risk 5-
digit ZIP codes can create for re-identification. Accordingly, the 
Bureau plans to disclose 5-digit ZIP codes, except where the population 
in the ZIP code contains fewer than 20,000 people. In such cases, the 
Bureau plans to disclose the 3-digit ZIP code, except where the 3-digit 
ZIP code population contains fewer than 20,000 people, in which case 
the Bureau does not intend to disclose any ZIP code data. While this 
approach represents a different approach than those suggested by most 
commenters, the Bureau believes that this option appropriately balances 
the utility of geographic data with the associated risk to individual 
consumer privacy. As with all elements of its scrubbing standard, the 
Bureau intends to make adjustments in the future guided by the goal of 
simultaneously maximizing data utility and individual privacy.
3. Re-identification
    Several trade associations and companies commented that despite the 
proposed scrubbing methodology, an unacceptably high risk of re-
identification will remain. Some commented that in areas with small 
populations, even scrubbed narratives could lead to re-identification 
based on other details not covered by HIPAA standards. One company also 
commented that the risk of narrative content being repeated through 
social media raises the possibility of re-identification by individuals 
familiar with the consumer. Consumer and privacy groups commented that 
the risk of re-identification is minimal, and offset by the benefits of 
the policy and rigor of the scrubbing standard.
    As the Bureau stated in the Proposed Policy Statement, sharing data 
containing any personal information presents a tension between data 
utility and individual privacy. As a particular

[[Page 15581]]

personal information scrubbing standard becomes more or less stringent, 
the utility of a given de-identified dataset may become respectively 
less or more useful. The publication of narratives involves risks, 
including the potential harm associated with the re-identification of 
actual consumers within the Consumer Complaint Database. The Bureau 
believes that it is appropriate to publish only those narratives for 
which opt-in informed consumer consent has been obtained, that have 
also been subjected to scrubbing under a robust personal information 
scrubbing standard and methodology.

F. Impact of Narrative Publication on Companies and the Marketplace

1. Reputational Harm
    Trade associations commented that the public disclosure of 
unverified narratives would result in reputational harm to companies. 
Some comments argued that any perceived benefit to consumers through 
narrative publication would be outweighed by the reputational harm 
suffered by companies.
    The Bureau takes seriously company and trade association concerns 
that financial institutions could incur intangible reputational damage 
as a result of the disclosure of narratives. As stated in previous 
policy statements, to a large extent, this risk is inherent in any 
release of complaint data. In deciding to release the structured 
complaint data, the Bureau considered this concern and concluded that, 
while there is always a risk that market participants will draw 
erroneous conclusions from available data, the marketplace of ideas 
would on the whole be able to determine what the data show and their 
relative importance. The Bureau believes this to be equally true with 
respect to narratives, and that consumer narrative publication will in 
fact make it easier for the marketplace to evaluate the rest of the 
complaint data by providing more information and context. Likewise, the 
Bureau also believes that the option for companies to provide public-
facing structured responses will enhance the effectiveness of the 
Database and provide an opportunity for companies to enhance their 
reputation and mitigate potential concerns.
    Consistent with these comments, the Bureau believes that the 
Database should include data that provides an unbiased perspective on 
company behavior toward consumers. Accordingly, in parallel to the 
finalization of the instant Final Policy Statement, the Bureau intends 
to further explore ways in which positive company behavior may be 
highlighted. Concurrent with the Final Policy Statement, the Bureau is 
publishing a Request for Information to solicit and collect input from 
the public on the potential collection, identification, and sharing of 
data and feedback specific to positive interactions with providers of 
consumer financial products and services.
2. Effect on Consumer Relations
    Several companies, trade associations, and a public interest 
organization commented that publicly posting narratives could create 
disincentives for consumers to deal directly with companies to resolve 
their disputes. Some commenters requested that narratives only be 
posted after the consumer has directly contacted the company. A few 
trade associations commented that narrative publication would cause 
general harm to customer relations by making the process more 
adversarial.
    The data collected from the Bureau's credit card intake form and 
survey work shows that the vast majority of consumers have already 
attempted, often several times, to resolve the complained-about issue 
with the company before seeking assistance from the Bureau. As 
previously stated, a central element of the Bureau's mission is to 
empower consumers; the Bureau believes that requiring consumers to 
contact the company before engaging the Bureau would work against that 
goal. Such an additional procedural hurdle may also discourage some 
number of consumers from submitting complaints, which would have the 
effect of depriving the Bureau of the information underlying the 
complaint. This could serve to undermine Bureau functions that rely, at 
least in part, on complaint data to inform their respective activities.
    Similarly the Bureau is skeptical of concerns that disclosing 
narratives would create disincentives for consumers to deal directly 
with the company and would cause general harm to customer relations by 
making the process more adversarial. Feedback the Bureau has received 
suggests the introduction of the Consumer Complaint Database and the 
Bureau's activities generally have caused greater investment by 
companies in their customer service operations, which includes company 
complaint handling. The Bureau views this development as a positive 
step for customer service at companies that are making such 
investments.
3. The Appearance of Validating Complaints by the Act of Disclosing 
Them
    Several trade associations, companies, and individual commenters 
stated that by including unverified comments on a government Web site, 
the narratives will be portrayed as being validated by the Bureau.
    Similar concerns were previously raised and addressed by the Bureau 
in the 2012 Notice of Final Policy Statement.\31\ The Bureau 
acknowledged the possibility that some consumers may (or may be led to) 
draw erroneous conclusions from the data. That is true, however, for 
any market data. In recognition of this risk the Bureau provides the 
following disclaimer on the Consumer Complaint Database: ``We don't 
verify all the facts alleged in these complaints but we take steps to 
confirm a commercial relationship between the consumer and company. 
Complaints are listed here after the company responds or after they 
have had the complaint for 15 calendar days, whichever comes first. We 
remove complaints if they don't meet all of the publication criteria. 
Data is refreshed nightly.'' The Bureau believes this disclaimer to be 
sufficient to address the risk identified by commenters.
---------------------------------------------------------------------------

    \31\ 2012 Notice of Final Policy Statement, 77 FR at 37562 (June 
22, 2012).
---------------------------------------------------------------------------

    As discussed elsewhere, it is noteworthy that several other 
government agencies make consumer complaint narratives available, 
including the Consumer Product Safety Commission, the National Highway 
Transportation Safety Administration, and, pursuant to FOIA requests, 
the Federal Trade Commission.
4. Consumer Confusion and Lack of Context
    Several trade associations commented that unstructured narrative 
data provides minimal benefit to consumers as required scrubbing would 
remove any useful information from the narrative and responses. Some 
trade association comments added that the Bureau's resources would be 
better utilized by providing more context for data already provided in 
the Database. Some consumer groups requested better organization of the 
data provided in the Database.
    As noted previously, sharing data containing personal information 
presents a tension between data utility and individual privacy. The 
Bureau believes, based on the comments received from various consumer 
and privacy groups, that it is possible to strike a balance between 
these two

[[Page 15582]]

important interests and still disclose a dataset that provides 
significant benefit to the marketplace. The Bureau will continually 
monitor this balance for opportunities to adjust its personal 
information scrubbing standard, which the Bureau intends to describe on 
its Web site. Furthermore, the Bureau is committed to the continuous 
improvement of the Consumer Complaint Database, which includes the 
addition of increasing levels of context, organization, and data 
normalization.
5. Increased Litigation
    A few companies and trade associations commented that the 
publication of narratives would lead to increased litigation, either 
through potentially ``defamatory'' narratives posted by consumers or as 
a result of additional information available to prospective plaintiffs. 
One company expressed the concern that complaints and narratives could 
be sources of information appropriately left to be obtained during the 
discovery process. One trade association also commented that the 
privacy risks of published narratives could increase the risk of legal 
liability and heighten litigation costs. One legal aid organization 
commented that the availability of complaint narratives would help 
consumer advocacy groups to identify local trends of unlawful behavior 
and target legal efforts more effectively.
    The Bureau believes the risk of increased litigation following the 
disclosure of narratives to be low. The closest analogs to the Bureau's 
plan for narrative disclosure are the Consumer Product Safety 
Commission's public-facing complaint database and the Federal Trade 
Commission's disclosures pursuant to FOIA requests; the Bureau is not 
aware of any information that those disclosures have increased 
litigation against companies. Ultimately, the Bureau believes there is 
significant value in making available Bureau complaint data to help in 
the identification of and calling attention to potentially unlawful 
behavior.
6. Increased Company Costs
    Several trade associations and companies commented that the 
additional procedure of creating a second, public-facing response, and 
ensuring its compliance with potentially applicable laws, would 
increase operational costs for companies. Some of these commenters also 
emphasized the increased costs to the Bureau resulting from additional 
infrastructure necessary to publish narratives. One public interest 
group also highlighted the financial burden of producing additional 
responses to narratives.
    As noted above, and in light of the comments received, the Bureau 
intends to provide companies with a finite list of optional structured 
responses that will allow them to recommend to the Bureau an optional 
public response to address the substance of consumers' complaints. The 
Bureau believes that this approach significantly decreases the 
operational costs of providing independent public-facing responses, as 
compared to the Bureau's proposal of providing separate narrative 
responses. Still, the Bureau acknowledges that additional effort and 
expense may be borne by companies in connection with preparing public-
facing responses to consumer narratives. The Bureau has weighed these 
factors, in addition to the increased burdens on the Bureau's own 
complaint handling operation. The Bureau considers it a matter of 
fairness to provide companies with the opportunity to address publicly 
consumer complaints from the company's perspective. It is important to 
recognize that no company will be required to recommend a public-facing 
response, and it is entirely up to the company whether it wants to take 
advantage of this forum. The Bureau does not believe that the 
additional burden a company may bear in taking advantage of this 
opportunity, particularly given the Bureau's movement to structured 
responses and away from unstructured narrative company responses, 
outweighs the benefit of publicly disclosing narratives to consumers 
and the marketplace.
7. Confidentiality Agreements
    One individual commented that the public posting of consumer 
narratives would create an incentive for companies to require consumers 
to sign non-disclosure agreements when creating an account. This 
commenter recounted an experience in which he submitted a complaint to 
the Bureau and when settling the matter with the company, the company 
asked him to sign a confidentiality agreement.
    The Bureau's experience to date has not uncovered widespread 
company use of non-disclosure agreements in connection with the 
Consumer Complaint Database, and no company comments on the proposed 
Policy have indicated that companies intend to utilize non-disclosure 
agreements as gag orders in the way envisioned by this comment. The 
Bureau's market monitoring will remain alert to developments along 
these lines. However, the Bureau would likely look disfavorably upon 
agreements that require a consumer to withdraw his or her consent to 
have a narrative published as a condition of settlement.

IV. Implementing the Final Policy Statement

    Following publication of the Final Policy Statement, the Bureau 
will turn to implementation of the policy. The Bureau intends to modify 
its Web site and online complaint intake form to collect informed opt-
in consumer consent. In conjunction with the collection of consumer 
consent, the Bureau intends to finalize and post on its Web site the 
Consumer Complaint Database scrubbing standard. The Bureau will also 
modify the company web portal to add functionality to allow companies 
to provide the recommended public-facing responses, reach out to 
companies on the company web portal to offer training and provide 
technical support related to the policy. The Bureau will finalize its 
automated and manual review processes and then begin scrubbing 
narratives.
    The Bureau will not disclose any scrubbed and consented-to 
narratives until sufficient time has elapsed to allow the Bureau to 
adequately complete and assess the above actions.

V. Final Policy Statement

    The Bureau hears directly from the American public about their 
experiences with the nation's consumer financial marketplace. An 
important element of the Bureau's mission is the handling of individual 
consumer complaints regarding consumer financial products and services.
    In June 2012, the Bureau began making de-identified individual-
level complaint data available via its web-based, public-facing 
database (the ``Consumer Complaint Database''). Since launch, the 
Consumer Complaint Database has been expanded to include additional 
consumer financial products and data fields as products have been added 
to its complaint handling system. Consistent with its strategic vision, 
the Bureau is committed to the continued growth and refinement of the 
Consumer Complaint Database in a manner that helps inform consumers and 
the marketplace while still protecting privacy and incorporating 
appropriate security controls.

A. Consumer Narratives

    The Bureau plans to provide consumers who submit their complaints 
directly to the Bureau the opportunity to share their individual 
stories with other consumers and the marketplace by including consumer 
complaint narratives in the Consumer Complaint

[[Page 15583]]

Database where consent for publication is first obtained from the 
consumer. Only those narratives for which opt-in consumer consent is 
obtained and a robust personal information scrubbing standard and 
methodology is applied will be eligible for disclosure.

B. Consumer Consent To Disclose Narratives

    The Bureau intends to disclose only narratives for which informed 
consent has been obtained and that have been scrubbed for personal 
information. To obtain informed consumer consent, the Bureau plans to 
give consumers who submit a complaint the opportunity to check a 
consent box, with accompanying language that will state, among other 
things, and in plain language, that: (1) Whether or not consent is 
given will not otherwise impact how the Bureau handles the complaint; 
(2) if given, the consumer may thereafter inform the Bureau that the 
consumer withdraws consent at any time and the narrative will be 
removed from the Consumer Complaint Database; and (3) the Bureau will 
take reasonable steps to remove personal information from the complaint 
to address risk of re-identification.

C. Personal Information Scrubbing Standard and Methodology

    Sharing data containing personal information presents a tension 
between data utility and individual privacy. As a particular personal 
information scrubbing standard becomes more or less stringent, the 
utility of a given de-identified dataset may become respectively less 
or more useful.
    Within its judgment and discretion, and in order to address the 
risk of re-identification, the Bureau intends to apply to all publicly-
disclosed narratives a robust personal information scrubbing standard 
and methodology. In designing its scrubbing standard, the Bureau relied 
heavily on guidance by the Department of Health and Human Services 
regarding de-identification of health data, as outlined in the Health 
Insurance Portability and Accountability Act (``HIPAA'') Privacy 
Rule.\32\ The Bureau's current scrubbing standard is modeled after the 
HIPAA Safe Harbor Method, which is generally considered to represent a 
best practice for de-identifying data. In addition to adopting (and 
removing) most of the specific HIPAA identifiers, the Bureau also plans 
to remove: (1) Demographic information such as gender, age, race, and 
ethnicity; (2) appropriate analogues to HIPAA identifiers in the 
consumer financial domain, e.g., credit card numbers; and (3) 
identifiers which the Bureau knows appear in complaints and could 
reasonably be used to identify individuals, e.g., personal information 
pertaining to third parties other than the company that is the subject 
of the complaint. All consumer complaint data shared via the Consumer 
Complaint Database will be subject to this standard and methodology, 
including, e.g., ZIP code. The Bureau plans to make this scrubbing 
standard available on the Bureau's Web site. The scrubbing methodology 
contemplates a computer-based automated step and a quality assurance 
step or steps performed by human reviewers.
---------------------------------------------------------------------------

    \32\ 45 CFR 164.514.
---------------------------------------------------------------------------

D. Company Response

    The Bureau plans to give companies the opportunity to respond 
publicly to the substance of the consumer complaints they receive from 
the Bureau. Within the secure web portal companies use to respond to 
complaints, the Bureau intends to add a set list of structured company 
response options; a responding company will be given an opportunity to 
recommend to the Bureau which option, if any, it would like included as 
a public-facing response to address the substance of the consumer's 
complaint. Companies will be under no obligation to avail themselves of 
this opportunity.

E. Continuous Improvement

    The Bureau plans to implement a testing and continuous improvement 
process to ensure that as applied, the Bureau's standard and 
methodology for scrubbing personal information adequately protects 
consumers. The Bureau intends to continue to adjust its scrubbing 
standard and methodology, guided by the goal of simultaneously 
maximizing data utility and individual privacy.

VI. Effect of Policy Statement

    This Policy Statement is intended to provide information regarding 
the Bureau's plans to exercise its discretion to publicly disclose 
certain data derived from consumer complaints. The Policy Statement 
does not impose any legal obligations on third parties, nor does it 
create or confer any substantive or procedural rights on third parties 
that could be enforceable in any administrative or civil proceeding.

    Dated: March 12, 2015.
Richard Cordray,
Director, Bureau of Consumer Financial Protection.
[FR Doc. 2015-06722 Filed 3-23-15; 8:45 am]
BILLING CODE 4810-AM-P



                                                  15572                         Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices

                                                  Science and the Needs of U.S. Industry                  of addressing the opportunities and                   based, public facing database (the
                                                  is to solicit input from stakeholders                   barriers? In what areas is the current                ‘‘Consumer Complaint Database’’ or
                                                  about the broader needs of the industrial               workforce strong, and in what areas is                ‘‘Database’’). Only those narratives for
                                                  community in the area of quantum                        it weak? What are the best mechanisms                 which opt-in consumer consent is
                                                  information science (QIS). Topics to be                 for equipping workers with the needed                 obtained and a robust personal
                                                  discussed include opportunities for                     knowledge and skills?                                 information scrubbing standard and
                                                  research and development, emerging                         The workshop will include invited                  methodology applied will be eligible for
                                                  market areas, barriers to near-term and                 presentations by leading experts from                 disclosure. The Final Policy Statement
                                                  future applications, and workforce                      academia, industry, and government                    supplements and amends the Bureau’s
                                                  needs. Information gathered at this                     and time for group discussion.                        existing policy statements establishing
                                                  workshop will be used in the                               There is no cost for participating in              and expanding the Consumer Complaint
                                                  development and coordination of U. S.                   the workshop. No proprietary                          Database.1
                                                  Government policies, programs, and                      information will be accepted, presented
                                                                                                          or discussed as part of the workshop,                 DATES: Applicability date: The Bureau
                                                  budgets to advance U.S.
                                                                                                          and all information accepted, presented               will not publish any consented-to
                                                  competitiveness in QIS.
                                                                                                          or discussed at the workshop will be in               narrative for at least 90 days after
                                                     This workshop will focus on the
                                                                                                          the public domain.                                    publication in the Federal Register.
                                                  needs of industry in the following areas:
                                                                                                             Workshop Registration: All workshop                FOR FURTHER INFORMATION CONTACT:
                                                  (1) Opportunities                                       participants must pre-register at the                 Scott Pluta, Assistant Director, Office of
                                                    Quantum information science                           following web address to be admitted:                 Consumer Response, Bureau of
                                                  includes, for example, quantum                          http://www.nist.gov/pml/div684/                       Consumer Financial Protection, at (202)
                                                  computing and processing, quantum                       quantum-information-science-                          435–7306.
                                                  algorithms and programming languages,                   innovation-and-the-path-forward.cfm.
                                                                                                                                                                SUPPLEMENTARY INFORMATION:
                                                  quantum communications, quantum                         Anyone wishing to attend this meeting
                                                  sensors, quantum devices, single photon                 must register by 5 p.m. Eastern Time on                 Authority: 12 U.S.C. 5492(a), 5493(b)(3),
                                                  sources, and detectors. What areas of                   April 3, 2015, in order to attend. Also,              (d), 5496(c)(4), 5511(b), (c), 5512, 5534(a), (b).
                                                  pre-competitive QIS research and                        please note that under the REAL ID Act                I. Overview
                                                  development appear most promising?                      of 2005 (Pub. L. 109–13), federal
                                                  What areas should be the highest                        agencies, including NIST, can only                    A. Final Policy Statement
                                                  priorities for Federal investment? What                 accept a state-issued driver’s license or                Under the Final Policy Statement, the
                                                  are the emerging frontiers? What                        identification card for access to federal             Bureau extends its existing practice of
                                                  methods of monitoring new                               facilities if issued by states that are               disclosing data associated with
                                                  developments are most effective?                        REAL ID compliant or have an                          consumer complaints via the Consumer
                                                                                                          extension. NIST also currently accepts                Complaint Database to include
                                                  (2) Market Areas and Applications
                                                                                                          other forms of federal-issued                         narratives for which opt-in consumer
                                                     The 2008 ‘‘A Federal Vision for                      identification in lieu of a state-issued              consent is obtained and a robust
                                                  Quantum Information Science’’ 1                         driver’s license. For detailed                        personal information scrubbing
                                                  identified exciting new possibilities for               information please contact Gail                       standard and methodology has been
                                                  QIS impact, including mineral                           Newrock at (301) 975–3200 or visit:                   applied. The purposes of the Consumer
                                                  exploration, medical imaging, and                       http://www.nist.gov/public_affairs/                   Complaint Database include providing
                                                  quantum computing. Now, six years                       visitor/.                                             consumers with timely and
                                                  later, what market areas are well-
                                                                                                          Richard R. Cavanagh,                                  understandable information about
                                                  positioned to benefit from new
                                                                                                          Acting Associate Director for Laboratory              consumer financial products and
                                                  developments in QIS?
                                                                                                          Programs.                                             services, and improving the functioning,
                                                  (3) Barriers                                            [FR Doc. 2015–06848 Filed 3–20–15; 4:15 pm]           transparency, and efficiency of markets
                                                    Funding levels and mechanisms,                        BILLING CODE 3510–13–P                                for such products and services. The
                                                  technology, dissemination of                                                                                  Bureau believes that adding additional
                                                  information, and technology transfer are                                                                      information to the Consumer Complaint
                                                  some of the potential barriers to                       BUREAU OF CONSUMER FINANCIAL                          Database, here narratives and structured
                                                  adoption of QIS technology. What are                    PROTECTION                                            company responses, is consistent with
                                                  the greatest barriers to advancing                                                                            and promotes these purposes.
                                                                                                          [Docket No. CFPB–2014–0016]
                                                  important near-term and future                                                                                II. Background
                                                  applications of QIS and what should be                  Disclosure of Consumer Complaint
                                                  done to address these barriers?                                                                               A. Complaint System
                                                                                                          Narrative Data
                                                  (4) Workforce Needs                                                                                             In the Bureau’s previous notices of its
                                                                                                          AGENCY:  Bureau of Consumer Financial
                                                                                                                                                                policy statements, establishing and
                                                    Addressing opportunities in QIS and                   Protection.
                                                                                                                                                                expanding the Consumer Complaint
                                                  barriers to applications requires a                     ACTION: Final Policy Statement.                       Database, the Bureau generally
                                                  workforce spanning many disciplines,                                                                          described how the Office of Consumer
                                                  ranging from computer science and                       SUMMARY:   The Bureau of Consumer
                                                                                                                                                                Response (‘‘Consumer Response’’)
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                                                  information theory to atomic scale                      Financial Protection (the ‘‘Bureau’’) is
                                                                                                          issuing a final policy statement (‘‘Final             handles consumer complaints
                                                  manipulation of materials, and                                                                                (collectively the ‘‘Complaint
                                                  possessing a range of knowledge and                     Policy Statement’’) to provide guidance
                                                  skills. What knowledge and skills are                   on how the Bureau plans to exercise its
                                                                                                                                                                  1 Disclosure of Certain Credit Card Complaint
                                                  most important for a workforce capable                  discretion to disclose publicly
                                                                                                                                                                Data, 77 FR 37558 (June 22, 2012) (‘‘2012 Notice of
                                                                                                          unstructured consumer complaint                       Final Policy Statement’’); Disclosure of Consumer
                                                    1 http://www.nist.gov/pml/div684/upload/              narrative data (‘‘narratives’’ or                     Complaint Data, 78 FR 21218 (Apr. 10, 2013) (‘‘2013
                                                  FederalVisionQIS.pdf.                                   ‘‘consumer narratives’’) via its web-                 Notice of Final Policy Statement’’).



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                                                                                Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices                                           15573

                                                  System’’).2This Final Policy Statement                  days after the complaint was sent to the                 Commenters provided feedback on
                                                  does not affect how a consumer’s                        company. Data from a complaint is not                 numerous aspects of the Proposed
                                                  complaint is substantively handled by                   published in the Database if, among                   Policy Statement. Almost all comments
                                                  the Bureau. Consumer Response screens                   other reasons, the company suspects the               concerned the expansion of the
                                                  all complaints submitted by consumers                   complaint was submitted in furtherance                Database to include narratives.
                                                  based on several criteria, including                    of a fraud or it indicates to the Bureau              Companies and their trade associations
                                                  whether the complaint should be routed                  that it does not have a commercial                    generally opposed the inclusion of
                                                  to another regulator and whether the                    relationship with the consumer.                       narratives in the Database. Many
                                                  complaint is complete. Screened                                                                               industry commenters asserted that the
                                                  complaints are forwarded via a secure                   B. Overview of Public Comments                        publication of ‘‘unverified’’ consumer
                                                  web portal to the appropriate company.                     In its Proposed Policy Statement                   narratives would unfairly damage the
                                                  The company then has 15 calendar days                   Regarding Disclosure of Unstructured                  reputations of companies. Several trade
                                                  to provide an initial response and up to                Narrative Data From Consumer                          associations also commented that
                                                  60 calendar days to provide a final                     Complaints and Company Responses                      inclusion of unstructured narratives is
                                                  response. Companies have the ability                    (‘‘Proposed Policy Statement’’), the                  contrary to the Bureau’s stated mission
                                                  within these timeframes to respond                      Bureau proposed expanding its                         of being data-driven.
                                                  administratively to the Bureau, e.g.,                   Consumer Complaint Database to                           Per the AFR’s comment letter,
                                                  responding that no commercial                           include narratives submitted by                       consumer, civil rights, privacy, and
                                                  relationship exists between the                         consumers as well as public-facing                    open government groups supported the
                                                  complaining consumer and the                            narrative responses from companies.4                  inclusion of narratives, asserting that
                                                  company in question. Typically, the                     The Bureau received 137 unique                        among other things narratives would:
                                                  company reviews the complaint,                          comments from, among others,                          ‘‘(1) Empower consumers with timely,
                                                  communicates with the consumer as                       consumer groups, trade associations,                  valuable information pre-purchase, in
                                                  needed, and determines what action to                   companies, and individuals. In some                   order to prevent problems and reward
                                                  take in response. After the company                     cases, several organizations jointly                  companies that respect their customers,
                                                  responds to the consumer and the                        submitted a single comment letter. One                and post-purchase, in order to report
                                                  Bureau via the secure company portal,                   financial reform organization,                        unreasonable, unfair or deceptive
                                                  the Bureau invites the consumer to                      Americans for Financial Reform                        practices and alert others in advance of
                                                  review the response and provide                         (‘‘AFR’’), submitted a single set of                  problems; (2) allow others to assist the
                                                  feedback. Some complaints are                           comments on behalf of 49 consumer,                    Bureau in detecting destructive patterns
                                                  individually reviewed by Consumer                       civil rights, privacy, and open                       before they do extensive damage; and
                                                  Response investigations staff. All                      government groups.5 The Bureau                        (3) encourage more people to use the
                                                  complaints are subject to follow-up and                 reviewed unique comments from 39                      Database, as it becomes a more useful
                                                  further investigation by Consumer                       individuals, as well as substantially                 tool, creating a cycle of increased
                                                  Response and other parts of the                         identical comment letters from                        information about consumer
                                                  Bureau.3                                                approximately 30,000 individuals                      experiences in the financial services
                                                     The Bureau makes publicly available                  expressing support for the Proposed                   marketplace.’’ These groups and
                                                  some data it collects as part of its                    Policy Statement.                                     individual commenters endorsed the
                                                  complaint handling function, while                                                                            goals underlying the publication of
                                                  continually striving to protect the                       4 Disclosure of Consumer Complaint Narrative
                                                                                                                                                                consumer narratives.
                                                  sensitive information contained within                  Data, 79 FR 42765, 42767 (July 23, 2014).
                                                                                                                                                                   Several commenters focused on
                                                  that data. One way the Bureau currently                   5 This group included: Americans for Financial      normalization, or the use of some metric
                                                  accomplishes this is by sharing some                    Reform; Alliance for a Just Society; Arkansas         to provide context for data, for example,
                                                  fields from de-identified individual-                   Community Organization; California Reinvestment       by including information on the number
                                                                                                          Coalition; Connecticut Citizen Action Group; Center   of accounts a company has for each
                                                  level complaint data with the public                    for Digital Democracy; Center for Responsible
                                                  through the Consumer Complaint                          Lending; Community Legal Services, Philadelphia;
                                                                                                                                                                particular product or service. Some
                                                  Database. The Database was launched                     Connecticut Fair Housing Center; Consumer Action;     industry commenters noted the risk of
                                                  on June 19, 2012. It was initially                      Consumer Federation of America; Consumers for         potential consumer re-identification and
                                                                                                          Auto Reliability and Safety; Consumer Watchdog;       the impact certain laws may have on a
                                                  populated with credit card complaint                    Demos; Electronic Privacy Information Center;
                                                  data but has since been expanded to                     Empire Justice Center; Florida Alliance for
                                                                                                                                                                company’s ability to respond publicly to
                                                  include complaint data about other                      Consumer Protection; Home Defenders League;           a consumer’s complaint. Both trade
                                                  products, e.g., mortgages, bank accounts                International Union, United Automobile, Aerospace     associations and consumer groups
                                                  and services, student loans, vehicle and                & Agricultural Implement Workers of America           submitted written comments advising
                                                                                                          (UAW); Keystone Progress; Leadership Conference       the Bureau to be mindful of the privacy
                                                  other consumer loans, credit reporting,                 on Civil and Human Rights; Massachusetts
                                                  money transfers, debt collection, payday                Consumers’ Coalition; MASSPIRG; Miami Valley          risks associated with narrative
                                                  loans, and prepaid cards. Data from                     Fair Housing Center, Dayton, Ohio; Missourians        publication. Nonetheless, four
                                                  complaints are disclosed in the Database                Organizing for Reform and Empowerment; NAACP;         nationally recognized privacy groups—
                                                                                                          National Association of Consumer Advocates;           Electronic Privacy Information Center,
                                                  the earlier of: (1) An initial response to              National Consumer Law Center (on behalf of its low
                                                  the consumer and the Bureau                             income clients); National Council of La Raza;         Privacy Rights Clearinghouse, Privacy
                                                  (confirming a commercial relationship                   National Fair Housing Alliance; National People’s     Times, and World Privacy Forum—
                                                  with the consumer) or (2) 15 calendar                   Action; New Economy Project; New Jersey Citizen       signed AFR’s comment letter in support
                                                                                                          Action; New Jersey Communities; United Oregon
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                                                                                                                                                                of the Proposed Policy Statement.
                                                                                                          Consumer League; Privacy Rights Clearinghouse;
                                                    2 2012 Notice of Final Policy Statement, 77 FR at
                                                                                                          Privacy Times; Project on Government Oversight;       Additionally, Privacy Rights
                                                  37559 (June 22, 2012); 2013 Notice of Final Policy      Public Citizen; Public Justice Center; South          Clearinghouse submitted an individual
                                                  Statement, 78 FR at 21219 (April 10, 2013).             Carolina Appleseed Legal Justice Center; Southwest    comment generally supportive of
                                                    3 The Complaint System is described in more           Center for Economic Integrity; Texas Legal Services   disclosing narratives.
                                                  detail in the 2013 Consumer Response Annual             Center; The Institute for College Access and
                                                  Report (March 31, 2014) at: http://                     Success; U.S.PIRG; Virginia Citizens Consumer
                                                                                                                                                                   Many submissions included
                                                  www.consumerfinance.gov/reports/2013-consumer-          Council; Woodstock Institute; and the World           comments directed to the Bureau’s
                                                  response-annual-report./                                Privacy Forum.                                        method of processing consumer


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                                                  15574                         Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices

                                                  complaints, i.e., the Complaint System.                 and comment rulemaking.8 Several of                   response does not rise to the level of a
                                                  To the extent that these comments also                  these groups argued that rulemaking                   legal obligation.11 For their part,
                                                  related to the scope of the Proposed                    was required because the policy would                 consumers are under no obligation to
                                                  Policy Statement, the Bureau addresses                  obligate companies to provide public                  opt in to sharing their stories, as the
                                                  them below. Whether addressed below                     responses or else suffer reputational                 consent language will make clear by
                                                  or not, the Bureau welcomes operational                 harm from unanswered complaint                        stating that the decision whether to
                                                  feedback and intends to continue to                     narratives. Some groups stated that the               provide consent for public disclosure
                                                  refine its Complaint System over time.6                 policy would impose new duties on the                 does not otherwise affect how the
                                                                                                          Bureau to verify the details contained in             Bureau handles the complaint.
                                                  III. Summary of Comments Received,                      the narratives or to protect consumer                   The Bureau is also not binding itself
                                                  Bureau Responses, and Resulting Policy                  privacy by removing information that                  with new legal duties. As explained
                                                  Statement Changes                                       could lead to consumer re-                            below, the Bureau is not committing to
                                                                                                          identification. Two groups commented                  verify the details contained in each
                                                    This section provides a summary of
                                                                                                          that § 1022(c)(6)(A) of the Dodd-Frank                complaint narrative. Although the
                                                  the comments received by subject
                                                                                                          Act, which requires the Bureau to issue               Bureau plans to scrub identifying
                                                  matter to the Proposed Policy
                                                                                                          rules concerning the confidential                     information from the consumer
                                                  Statement. It also summarizes the
                                                                                                          treatment of information, dictates that               narratives, it intends to do so in order
                                                  Bureau’s assessment of the comments by
                                                                                                          any decision involving confidential                   to assist consumers and ensure its
                                                  subject matter and, where applicable,                   information has to be enacted as a
                                                  describes the resulting changes that the                                                                      compliance with existing laws, rather
                                                                                                          legislative rule.9 These groups also                  than through the assumption of such a
                                                  Bureau is making in the Final Policy                    commented that the proposal would
                                                  Statement including a change to how                                                                           duty through the present Final Policy
                                                                                                          effectively amend the Bureau’s existing               Statement. The addition of narratives to
                                                  companies may respond publicly to                       privacy regulations by releasing
                                                  individual complaints. All such changes                                                                       the Consumer Complaint Database is
                                                                                                          confidential information and therefore                also in keeping with the Bureau’s stated
                                                  concern the Consumer Complaint                          had to be enacted through notice and
                                                  Database. There are no policy changes                                                                         intent to continue refining the way it
                                                                                                          comment. Two groups pointed to the                    receives, shares, and makes use of
                                                  regarding the Bureau’s issuance of its                  example of the Consumer Product
                                                  own complaint data reports, e.g., the                                                                         consumer complaint information as well
                                                                                                          Safety Commission, which provided
                                                  Consumer Response Annual Report.                                                                              as with its past practice of making
                                                                                                          details about its statutorily mandated
                                                                                                                                                                improvements to the Database.12 As part
                                                  A. The Policy Statement Process                         database of consumer product safety
                                                                                                                                                                of advancing that effort, and in response
                                                                                                          complaints via a legislative rule. The
                                                                                                                                                                to comments it received in response to
                                                     The Bureau is committed to                           groups argued that the Bureau was
                                                                                                                                                                the Proposed Policy Statement, the
                                                  transparency and robust engagement                      required to follow the same process in
                                                                                                                                                                Bureau is also publishing a Request for
                                                  with the public regarding its actions.                  announcing this policy. Finally, several
                                                                                                                                                                Information on how it might create or
                                                  Although not required by law to do so,                  of these groups suggested that the
                                                                                                                                                                enhance opportunities for consumers to
                                                  the Bureau voluntarily solicited and                    importance of releasing consumer
                                                                                                                                                                share accounts of positive experiences
                                                  received public comments on the                         narratives or the interest in transparency
                                                                                                                                                                they have had with providers of
                                                  Proposed Policy Statement. A few                        meant that full notice and comment
                                                                                                                                                                consumer financial products and
                                                  commenters requested a 60-day                           procedures were required.
                                                                                                             The Final Policy Statement is meant                services.
                                                  response period as opposed to the 30
                                                  days originally provided, a request the                 to inform the public about the Bureau’s                 The suggestion that § 1022(c)(6)(A)
                                                  Bureau granted.7 The Bureau received                    intended use of its discretionary                     requires the Bureau to finalize this
                                                  substantial public feedback expressing a                authority to release certain de-identified            policy as a legislative rule is
                                                  range of viewpoints, and it has carefully               information. The planned addition of                  unpersuasive. That provision mandates
                                                  considered the comments received, as                    narratives to the Consumer Complaint                  that the Bureau ‘‘prescribe rules
                                                  described in detail below. As stated in                 Database is properly the subject of a                 regarding the confidential treatment of
                                                  the Final Policy Statement, the Bureau                  policy statement and does not require                 information’’ it obtains in exercising its
                                                  plans to monitor the effectiveness of its               formal rulemaking.10 The Bureau has                   authorities. The Bureau has previously
                                                  policy on an ongoing basis and to                       made minor changes to the Final Policy                prescribed rules regarding the
                                                  continue to engage with the public,                     Statement to clarify its nature as a
                                                                                                                                                                   11 See Ctr. for Auto Safety v. Nat’l Highway
                                                  including regulated entities, as it                     general statement of policy. The policy
                                                                                                                                                                Traffic Safety Admin., 452 F.3d 798 (D.C. Cir. 2006)
                                                  assesses the efficacy of the Final Policy               neither binds private parties with any                (agency’s general statement of policy was not a
                                                  Statement.                                              legal responsibilities nor creates any                binding legislative rule simply because it had
                                                     Several commenters commended the                     legal rights. As the Final Policy                     practical effects, rather than legal consequences, for
                                                                                                          Statement makes clear, companies are                  private parties). Several commenters rely on
                                                  Bureau on providing the opportunity to                                                                        Electronic Privacy Information Center v.
                                                  comment on the Proposed Policy                          under no obligation to recommend                      Department of Homeland Security, 653 F.3d 1 (D.C.
                                                  Statement. A number of trade                            public-facing responses and will face no              Cir. 2011), but the Bureau does not believe that case
                                                  associations commented that the                         legal consequences by declining to do                 supports their argument. The agency action in that
                                                                                                          so. That some companies may decide it                 case, in the court’s view, imposed legally binding
                                                  proposal could not be finalized in a                                                                          requirements on airline passengers to go through
                                                  general statement of policy and was                     is worthwhile to recommend a public                   heightened security procedures or be barred from
                                                  instead a binding legislative rule subject                                                                    entering airport boarding areas. The opportunity to
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                                                                                                            8 The Administrative Procedure Act exempts
                                                  to the procedural requirements of notice                                                                      provide a public response narrative does not
                                                                                                          general statements of policy from notice and          impose any similar binding requirement.
                                                                                                          comment. 5 U.S.C. 553(b)(A).                             12 See 2013 Notice of Final Policy Statement, 78
                                                    6 Consumer Response maintains several feedback          9 12 U.S.C. 5512(c)(6)(A).
                                                                                                                                                                FR at 21226 (announcing planned changes to Public
                                                  mechanisms for participants in the Complaint              10 To the extent any features of this policy were   Complaint Database and stating Bureau’s intention
                                                  System and has plans to expand this capability over     considered binding on any party, the Bureau           to study and solicit further public feedback on the
                                                  time.                                                   believes they would constitute procedural rules,      efficacy of its complaint policies)(April 10, 2013);
                                                    7 Disclosure of Consumer Complaint Narrative          which are likewise exempt from the requirements       2012 Notice of Final Policy Statement, 77 FR at
                                                  Data, 79 FR 45183 (Aug. 4, 2014).                       of notice and comment. 5 U.S.C. 553(b)(A).            37568 (same)(June 22, 2012).



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                                                                                Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices                                                        15575

                                                  confidential treatment of information.13                that § 1021 and § 1022 do not expressly                 including promoting financial
                                                  The disclosure contemplated by this                     grant authority for the Bureau to                       education, providing timely
                                                  policy is consistent with those rules,                  establish a public-facing database or                   information, and ensuring that markets
                                                  and therefore does not require an                       disclose consumer complaint narratives                  operate transparently.19 In addition,
                                                  amendment to those rules. Finally, as                   to the public.16 They also contend that                 with prescribed limitations, the Bureau
                                                  noted previously, several commenters                    the Dodd-Frank Act’s restrictions on                    has broad discretionary authority to
                                                  contend that the past practice of the                   publishing confidential information                     release information obtained during the
                                                  Consumer Product Safety Commission,                     block the implementation of such a                      exercise of its statutory functions and
                                                  the general interest in transparency, or                database, including narratives.                         the Database, as described in the
                                                  the importance of releasing consumer                       The Bureau has considered these                      Proposed Policy Statement, would not
                                                  narratives require the Bureau to proceed                comments and concluded that the                         contravene any legal constraints on the
                                                  via legislative rulemaking. None of these               Database is authorized by the Dodd-                     Bureau.
                                                  factors provides a legal basis for                      Frank Act. Among other things,                             Publication of such information
                                                  concluding that notice and comment                      § 1013(b)(3) authorizes the                             would also be authorized by the
                                                  rulemaking is required under the                        establishment of a unit ‘‘whose                         Bureau’s express authority pursuant to
                                                  Administrative Procedure Act. The                       functions shall include establishing a                  § 1022 to make certain information,
                                                  Bureau also notes that it has made the                  single, toll-free telephone number, a                   including information from consumer
                                                  policy process transparent by                           Web site, and a database or utilizing an                complaints, public: Section
                                                  voluntarily soliciting public comment                   existing database to facilitate the                     1022(c)(3)(B) states that the Bureau
                                                  and extending the comment period from                   centralized collection of, monitoring of,               ‘‘may make public such information
                                                  30 to 60 days.                                          and response to consumer complaints                     obtained by the Bureau under this
                                                                                                          regarding consumer financial products                   section as is in the public interest,
                                                  B. Legal Authority for Consumer                         or services.’’ 17 Section 1034(a) directs               through aggregated reports or other
                                                  Complaint Database                                      the Bureau to establish ‘‘reasonable                    appropriate formats designed to protect
                                                    In the Bureau’s previous notices of its               procedures to provide a timely response                 confidential information in accordance
                                                  policy statements establishing and                      to consumers, in writing where                          with paragraphs (4), (6), (8), and (9).’’ 20
                                                  expanding the Consumer Complaint                        appropriate, to complaints against, or                  This subparagraph permits the Bureau
                                                  Database, the Bureau addressed in detail                inquiries concerning, a covered person                  to disclose consumer complaint
                                                  several comments related to the                         . . .,’’ and § 1034(b) provides that ‘‘[a]              information in a non-aggregated format
                                                  Bureau’s authority to establish a                       covered person subject to supervision                   as long as the format is designed to
                                                  Database.14 Several comments in                         and primary enforcement by the Bureau                   protect confidential information in
                                                  response to the Proposed Policy                         pursuant to section 1025 shall provide                  accordance with other specific
                                                  Statement implicate the same or similar                 a timely response, in writing where                     provisions of § 1022(c). The Database
                                                  arguments concerning the Bureau’s legal                 appropriate, to the Bureau, the                         would satisfy those criteria.
                                                  authority. The Bureau directs readers to                prudential regulators, and any other                       The disclosure of information
                                                  and incorporates its prior discussions,                 agency having jurisdiction over such                    contemplated by this policy is also
                                                  and clarifies portions here.                            covered person concerning a consumer                    consistent with subpart D of the
                                                    As was true with respect to the                       complaint or inquiry. . . .’’18 These                   Bureau’s Final Rule on the Disclosure of
                                                  Bureau’s prior two policy statements,                   provisions require and establish                        Records and Information,21 which the
                                                  commenters contend that the Dodd-                       conditions for specific methods of                      Bureau promulgated pursuant to
                                                  Frank Act expressly delineates the                      disclosure and responses, but do not                    § 1022(c)(6). Commenters are correct to
                                                  circumstances and manner in which the                   express or imply any limit on the                       point out that subpart D generally
                                                  Bureau may collect, resolve, and share                  Bureau’s authority to disclose consumer                 restricts the authority of the Bureau to
                                                  consumer complaints with others, and                    complaint information in other ways.                    publicly disclose ‘‘confidential
                                                  that a public-facing database is not                    The Database as described would                         information,’’ including ‘‘confidential
                                                  explicitly included. Therefore, by                      facilitate and supplement, not                          consumer complaint information.’’ 22
                                                  adverse inference, they assert that the                 contravene, these provisions. The                       However, such disclosure restrictions
                                                  Dodd-Frank Act does not authorize the                   Database is reasonably encompassed                      only apply to the extent that consumer
                                                  Database.                                               within the Bureau’s authorities,                        complaint information is confidential in
                                                    Similarly, as was true with respect to                especially in light of the Bureau’s other               nature. The Bureau’s regulations define
                                                  the Bureau’s prior policy statements,                   statutory objectives and functions,                     ‘‘confidential consumer complaint
                                                  commenters argue that § 1034 of the                                                                             information’’ to mean ‘‘information
                                                  Dodd-Frank Act, which requires the                         16 Two commenters point to American Petroleum        received or generated by the [Bureau],
                                                  Bureau to establish ‘‘reasonable                        Institute v. SEC, 953 F. Supp. 2d 5 (D.D.C. 2013),      pursuant to [sections 1013 and 1034 of
                                                  procedures to provide a timely response                 in support of the argument that the Bureau lacks
                                                                                                          authority for the Database. In that case, the SEC
                                                                                                                                                                  the Dodd-Frank Act], that comprises or
                                                  to consumers . . . to complaints                        contended that a statutory provision                    documents consumer complaints or
                                                  against, or inquiries concerning, a                     unambiguously required public disclosure of             inquiries concerning financial
                                                  covered person,’’ 15 does not authorize                 certain annual reports from regulated entities. The     institutions or consumer financial
                                                  the creation of a public-facing complaint               court held that the provision did not
                                                                                                          unambiguously require public disclosure and that        products and services and responses
                                                  database that, instead of aiding                        the SEC had improperly cabined its discretion. Id.      thereto, to the extent that such
                                                  complainants, enables data mining and                   at 12–18. The Bureau believes American Petroleum        information is exempt from disclosure
                                                  market research. Commenters also make                   Institute does not suggest the Bureau lacks authority
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                                                  arguments, similar to past comments,                    to disclose consumer complaint narratives. That
                                                                                                                                                                    19 12  U.S.C. 5511.
                                                                                                          case addressed statutory provisions not at issue
                                                                                                                                                                    20 12  U.S.C. 5512(c)(3)(B) (emphasis added).
                                                                                                          here. Moreover, the Bureau acknowledges its
                                                     13 Disclosure of Records and Information, 78 FR
                                                                                                          discretion with respect to the public disclosure           21 12 CFR 1070.40 through 1070.47.
                                                  11484 (Feb. 15, 2013).                                  described in the Policy Statement, and it does not         22 12 CFR 1070.41 (prohibiting Bureau employees
                                                     14 2012 Notice of Final Policy Statement, 77 FR      believe that such disclosure is unambiguously           from disclosing confidential information other than
                                                  at 37560–61 (June 22, 2012); 2013 Notice of Final       required under the statute.                             as provided in subpart D); 12 CFR 1070.2 (defining
                                                  Policy Statement, 78 FR at 21220 (April 10, 2013).         17 12 U.S.C. 5493(b)(3)(A).
                                                                                                                                                                  ‘‘confidential information’’ to include ‘‘confidential
                                                     15 12 U.S.C. 5534(a).                                   18 12 U.S.C. 5534(a) & (b).                          consumer complaint information’’).



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                                                  15576                           Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices

                                                  pursuant to 5 U.S.C. 552(b)                               the Database. Other consumer groups                   the merits of each individual complaint
                                                  [FOIA].’’ 23Because the information to                    commented that narratives would aid                   disclosed in the Consumer Complaint
                                                  be disclosed in the public database is                    consumer advocacy and legal aid groups                Database, specifically stating on the
                                                  disclosed with the consumer’s express                     in serving their communities by helping               Bureau’s Web site that it does not
                                                  consent and not exempt from disclosure                    to identify local trends.                             ‘‘verify the accuracy of all facts alleged
                                                  under FOIA, such information does not                        Industry commenters, by contrast,                  in complaints.’’ However, the Bureau
                                                  constitute ‘‘confidential consumer                        asserted that the publication of                      does screen each complaint according to
                                                  complaint information.’’ Accordingly,                     narratives in the Database would                      various criteria. The complaint is
                                                  § 1022(c)(6)(A)’s grant of authority to                   mislead consumers because the data is,                reviewed to determine whether it
                                                  issue rules regarding when the Bureau                     in the commenters’ words, unverified                  should be routed to another regulator. A
                                                  will treat information confidentially                     and unrepresentative. And despite the                 determination is made whether each
                                                  does not limit the Bureau’s discretion to                 fact that the Bureau confirms the                     submission is a complaint, an inquiry,
                                                  disclose information consistent with                      existence of a commercial relationship                or feedback. Submissions in the latter
                                                  those rules, but provides further                         before publishing complaints, multiple                two categories are not forwarded to the
                                                  authority for the policy.                                 commenters expressed concern that                     identified company for handling as
                                                     Furthermore, the Bureau intends to                     complaints, and thus narratives, from                 complaints. Importantly, the
                                                  obtain consent from consumers to                          individuals without a commercial                      commercial relationship between the
                                                  publish their complaint narratives.                       relationship with the relevant company                company and the consumer is verified
                                                  Obtaining written consent for disclosure                  would appear in the Database.                         before disclosing it in the Database. The
                                                  aligns with requirements of 1022(c)(8),                      In general, the Bureau believes that               Bureau also verifies that the complaint
                                                  FOIA, the Privacy Act, and the Bureau’s                   greater transparency of information does              is submitted by the identified consumer
                                                  confidentiality rules. The Bureau does                    tend to improve customer service and                  or by his or her specifically authorized
                                                  not intend to release a narrative until                   identify patterns in the treatment of                 representative before disclosure in the
                                                  the consumer expressly consents to                        consumers, leading to stronger                        Database. Lastly, complaints are only
                                                  publication and the Bureau has                            compliance mechanisms and customer                    forwarded to companies when they
                                                  determined that the narrative has been                    service. These have been features of the              contain the required fields, including
                                                  de-identified according to a robust                       Consumer Complaint Database since its                 the complaint narrative, the consumer’s
                                                  scrubbing standard.                                       inception. In addition, disclosure of                 requested resolution, and the
                                                                                                            consumer narratives will provide                      consumer’s contact information. The
                                                  C. The Impact of the Disclosure of                        companies with greater insight into
                                                  Consumer Complaint Narratives on                                                                                Bureau believes that with the
                                                                                                            issues and challenges occurring across                information currently made public,
                                                  Consumers                                                 their markets, which can supplement                   supplemented by the contextual
                                                     Comments from consumer groups,                         their own company-specific                            richness of the de-identified narratives,
                                                  open government groups, privacy                           perspectives and lend more insight into               the public and the marketplace will
                                                  groups, and individual commenters                         appropriate practices. Other issues                   have the capacity to assess all the data
                                                  asserted that the publication of                          raised in the comments received by the                with the appropriate level of
                                                  narratives would empower consumers                        Bureau are addressed below.                           confidence.
                                                  to better understand the context of the
                                                  data currently provided in the                            1. Consumer Narratives                                b. Manipulation
                                                  Consumer Complaint Database. The                          a. Verification                                          Several trade associations and
                                                  Reporters Committee for Freedom of the                       In its 2012 Notice of Final Policy                 companies commented that third parties
                                                  Press, on behalf of nine major news                       Statement, the Bureau addressed several               like debt negotiation companies could
                                                  organizations and press trade                             comments related to the disclosure of                 use complaint submission as a strategic
                                                  associations, supported the publication                   unverified consumer complaints. In                    tool to unfairly aid their clients. A
                                                  of all narratives regardless of consent,                  response to the Proposed Policy                       company commenter claimed that at
                                                  stating that the Database is an                           Statement, several trade associations                 least one outside party has been using
                                                  invaluable resource for journalists as the                and companies continued to express                    the company’s name unlawfully to
                                                  experiences reflected in the narratives                   concern, stating that unverified                      defraud consumers, and that several
                                                  contribute to the public’s understanding                  complaint narratives are likely to                    complaints have been mistakenly
                                                  of the relationships between consumers                    mislead consumers. Some trade                         lodged against the company as a result.
                                                  and financial institutions and inform                     associations suggested that the Bureau                Specifically, a third party was
                                                  the ongoing democratic debate regarding                   should only disclose narratives after a               contacting consumers under the name of
                                                  financial regulation. Consumer groups                     substantive investigation by the Bureau               the other company to collect money and
                                                  added that consumer narratives would                      had been completed on that particular                 defraud consumers, and subsequently,
                                                  be a valuable resource for researchers to                 complaint. Some industry comments                     several consumers lodged complaints
                                                  identify trends in the business practices                 recommended distinguishing between                    against the other company.
                                                  of companies, particularly as they relate                 unverified and verified complaints.                      The Complaint System has a number
                                                  to traditionally underserved consumers.                   Consumer groups and privacy groups,                   of protections against manipulation.
                                                     Some commenters noted that                                                                                   These protections were addressed in the
                                                                                                            on the other hand, commented that the
                                                  narratives would encourage companies                                                                            2012 Notice of Final Policy Statement.25
                                                                                                            lack of verification presented minimal
                                                  to address the sources of common                                                                                For example, while the process of
                                                                                                            risk of misleading consumers.
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                                                  complaints. Consumer groups stated                           The Bureau incorporates its previous               submitting a complaint is designed to be
                                                  that the publication of narratives would                  statements and analysis on this issue.24              user-friendly and straightforward, it
                                                  allow companies to better compete                         The Bureau acknowledges that the                      does require deliberate action and a
                                                  through customer service, further                         Complaint System does not adjudicate                  moderate time commitment by the
                                                  increasing the improvement in customer                                                                          consumer. According to the Bureau’s
                                                  care resulting from the introduction of                      24 2012 Notice of Final Policy Statement, 77 FR

                                                                                                            at 37561 (June 22, 2012); 2013 Notice of Final           25 2012 Notice of Final Policy Statement, 77 FR
                                                    23 12   CFR 1070.2(g).                                  Policy Statement, 78 FR at 21221 (April 10, 2013).    at 37562 (June 22, 2012).



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                                                                                Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices                                                  15577

                                                  own calculations, the average amount of                 Consumer Complaint Database should                    requested clarification on whether
                                                  time required to complete a complaint                   include positive narratives about                     narratives within complaints referred
                                                  submission via the Web site is eight                    companies in conjunction with                         from other government agencies would
                                                  minutes. Consumers must also affirm to                  complaint narratives. One commenter                   be disclosed.
                                                  the government that the information                     suggested that if the Database is to                     This Final Policy Statement does not
                                                  they provide is true to the best of their               function as a marketplace of ideas, then              apply to complaints submitted by any
                                                  knowledge and belief. Again, the                        it should reflect the entire market and               third parties or via agency referral, and
                                                  commercial relationship between the                     not solely consumers submitting                       the Bureau does not intend to disclose
                                                  consumer and company is confirmed by                    complaints. Several trade associations                such narratives at this time. The
                                                  the company before any complaint data                   stated that if the Database is to be                  Complaint System affords companies
                                                  is disclosed in the Consumer Complaint                  likened to private web-based review                   the opportunity to alert the Bureau if
                                                  Database. With regard to the example                    sites, then positive feedback is                      they are unable to verify the commercial
                                                  provided regarding fraudulent use of a                  necessary.                                            relationship with the consumer who
                                                  company’s identity: (1) Companies have                     Consistent with these comments, the                submitted the complaint before the
                                                  the ability to alert the Bureau via an                  Bureau believes that the Bureau should                complaint is disclosed in the Consumer
                                                  administrative response of any                          share data that provides an unbiased                  Complaint Database.
                                                  suspected fraud; (2) if properly                        perspective on company behavior
                                                  identified by the company, such                         toward consumers. At present, the                     2. Company Responses
                                                  complaints do not appear in the                         Bureau already collects and shares some                  In its Proposed Policy Statement, the
                                                  Database; (3) if the Bureau finds any                   elements of positive feedback regarding               Bureau stated that:
                                                  pattern of fraud by any entity within its               company complaint handling. For                       Where the consumer provides consent to
                                                  jurisdiction, the Bureau can bring                      example, the Consumer Complaint                       publish their narrative, the related company
                                                  appropriate enforcement actions; and (4)                Database currently discloses                          will be given the opportunity to submit a
                                                  in sending such complaints to the                       information that can be used to                       narrative response for inclusion in the
                                                  company, the Bureau is assisting                        highlight positive company behavior,                  Consumer Complaint Database. The company
                                                  company operations in quickly                           e.g., companies with timely responses or              will be instructed not to provide direct
                                                  identifying and addressing instances of                 low consumer dispute rates. However,                  identifying information in its public-facing
                                                                                                          the Bureau intends to further explore                 response, and the Bureau will take
                                                  potential fraud.
                                                                                                                                                                reasonable steps to remove personal
                                                                                                          ways in which positive company                        information from the response to minimize
                                                  c. Misidentification
                                                                                                          behavior may be highlighted.                          (but not eliminate) the risk of re-
                                                     Several trade associations and                       Concurrent with the Final Policy                      identification. The Company Portal will
                                                  companies commented that consumers’                     Statement, the Bureau is publishing a                 include a data field into which companies
                                                  confusion about consumer financial                      Request for Information to solicit and                have the option to provide narrative text that
                                                  products and services would lead to                     collect input from the public on the                  would appear next to a consumer’s narrative
                                                  mistaken identification of the company                  potential collection, identification, and             in the Consumer Complaint Database.26
                                                  against which the complaint is lodged.                  sharing of data and feedback specific to                The Bureau received comments from
                                                  For example, one company commented                      positive interactions with providers of               companies and trade associations
                                                  that a consumer is likely to lodge a                    consumer financial products and                       arguing that, because of business and
                                                  complaint against a credit reporting                    services.                                             legal considerations, they would be
                                                  agency, when the consumer’s complaint                                                                         limited in their ability to provide
                                                  should be against the data furnisher.                   e. Language Access
                                                                                                                                                                meaningful public-facing unstructured
                                                  Trade associations and other                               Several consumer groups commended                  narrative responses and that such
                                                  commenters suggested the inclusion of                   the accessibility of the Bureau’s contact             responses would be impracticable or
                                                  company relationships. For example,                     center, with translation available in over            unhelpful. In response, the Bureau
                                                  one consumer group recommended                          180 languages. These groups requested                 intends to adopt an alternative approach
                                                  including the parent company when                       that the Bureau make the online                       based on structured company responses,
                                                  that company has multiple subsidiaries                  complaint submission form available in                as discussed below.
                                                  against which complaints are lodged.                    multiple languages.
                                                     As previously noted, companies have                     In addition to telephone support for               a. Quality of Company Responses
                                                  the ability to notify the Bureau if no                  non-English speaking consumers, the                      Trade associations and companies
                                                  commercial relationship exists between                  Bureau plans over time to make its                    both questioned the fairness of publicly
                                                  the consumer and the company; such                      online complaint intake form on                       disclosing consumer narratives because
                                                  complaints are not suitable for                         consumerfinance.gov available in                      they argued that, under the Bureau’s
                                                  disclosure in the Consumer Complaint                    Spanish, and subsequently to explore                  proposal, companies would be limited
                                                  Database. Regarding the credit reporting                making the form available in other                    in their ability to provide public-facing
                                                  example that was provided, the Bureau                   languages as well. The Bureau is                      unstructured narrative responses.
                                                  empowers the consumer to elect whom                     committed to providing persons with                   Several companies, trade associations
                                                  to submit a complaint against                           limited English proficiency meaningful                and individual commenters expressed
                                                  (dependent, as noted, on an existing                    access to its programs and services.                  concern that their ability to provide
                                                  commercial relationship). Specific to                                                                         meaningful public-facing unstructured
                                                                                                          f. Third Party Submissions and Referrals
                                                  the suggestion regarding inter- and                                                                           narrative responses would be limited by
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                                                  intra-company relationships, the Bureau                    Several trade associations and                     laws such as the Gramm-Leach-Bliley
                                                  is exploring expansion of the Database                  companies raised concerns that                        Act and Regulation P, the Fair Credit
                                                  to include additional company                           narratives from third parties without                 Reporting Act and Regulation V, and the
                                                  relationship information.                               authority to make a complaint on behalf               Fair Debt Collection Practices Act.
                                                                                                          of a consumer nevertheless would be                   Commenters argued that, under the
                                                  d. Positive Feedback                                    published, and companies would be
                                                    Several trade associations and                        compelled to respond publicly. The                      26 Disclosure of Consumer Complaint Narrative

                                                  companies commented that the                            Conference of State Bank Supervisors                  Data, 79 FR at 42768 (July 23, 2014).



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                                                  15578                         Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices

                                                  Bureau’s proposal to permit voluntary                   recommend public-facing structured                    62% of complaints are ‘‘closed with
                                                  narrative company responses, they                       responses than they would be to provide               explanation’’ and the majority of those
                                                  might not be able to provide any public-                unstructured public-facing responses,                 (75%) are not disputed by the
                                                  facing response at all due to legal,                    and that the reputational risks of                    consumer. The Bureau is concerned that
                                                  business, and reputational                              recommending structured responses                     mandating that the to-consumer
                                                  considerations. These commenters                        will be lower. The Bureau also believes               company responses be made public
                                                  argued that frank responses may be                      that this approach will lead to more                  could have a chilling effect on well-
                                                  viewed negatively by the public and                     standardized information that may                     received, detailed responses to
                                                  companies would be discouraged from                     facilitate the Bureau’s other functions               consumers, potentially leading to higher
                                                  attempting to articulate individualized                 and goals with respect to the Consumer                consumer dispute rates. Based on
                                                  responses. They argued that, in practice,               Complaint System, such as monitoring                  comments received by companies on
                                                  voluntary public-facing company                         and reporting on complaints.                          this issue, this concern would appear to
                                                  responses would not provide the                            Companies are ultimately responsible               be well founded. Allowing the company
                                                  balance suggested in the Proposed                       for ensuring their compliance with all                the choice to provide one very detailed
                                                  Policy Statement. Some commenters                       legal requirements. The Bureau believes               private communication to its consumer,
                                                  suggested various ways the Bureau                       that its approach of making public-                   as well as a separate public-facing
                                                  could mitigate these concerns, including                facing structured responses voluntary                 response, would address the Bureau’s,
                                                  providing specific interpretive                         allows companies sufficient flexibility               companies’ and consumers’ interests on
                                                  guidance. Consumer groups stated that                   to assess legal, business, reputational,              this issue.
                                                  making consumer narratives and                          and other considerations relevant to the
                                                                                                          decision of whether to provide public-                c. Response Time
                                                  company responses public would allow
                                                  for consumers to make individual                        facing responses. Finally, while                         Currently, companies have 15 days to
                                                  determinations regarding the quality of                 providing an opportunity for public-                  provide an initial response to a
                                                  the company’s service.                                  facing structured company responses                   consumer complaint. Several trade
                                                     Responsive to company and trade                      offers significant benefits, the Bureau               associations and companies commented
                                                  association feedback, the Bureau                        notes that the benefits of publicly                   that the response time should be
                                                  acknowledges that unstructured                          disclosing unstructured consumer                      extended in order to accommodate the
                                                  company narratives may not effectively                  complaint narrative data, as explained                drafting of a separate, public-facing
                                                  provide companies with a mechanism to                   in this Final Policy Statement, justify               response. Some comments
                                                  balance a consumer’s narrative.                         such disclosures, even absent an                      recommended extending the initial
                                                  Therefore, the Bureau intends to                        opportunity for public-facing company                 response time to as many as 60 days.
                                                  provide companies with a finite list of                 responses.                                               The Bureau believes that the marginal
                                                  optional structured responses from                                                                            increase in burden associated with
                                                                                                          b. Public and Private Company                         voluntarily recommending a separate
                                                  which they can choose. Within the
                                                                                                          Responses                                             structured public response does not
                                                  secure web portal companies use to
                                                  respond to complaints, the Bureau                          The Bureau solicited feedback on                   necessitate a deviation from the current
                                                  intends to add a set list of company                    whether any potentially public-facing                 complaint handling requirements,
                                                  responses, giving companies the ability                 company response should be distinct                   which themselves are designed to
                                                  to recommend a public-facing response                   and in addition to the response                       provide the complaining consumer with
                                                  addressing the substance of the                         companies currently send directly to the              a timely response.
                                                  consumer’s complaint. Companies will                    consumer. Several companies and trade
                                                                                                          associations commented that it should                 d. Timing of Narrative and Response
                                                  be under no obligation to avail                                                                               Posting
                                                  themselves of this opportunity. The                     be distinct as the public response will
                                                  Bureau plans to adopt company                           have to be adapted to conform to                        Trade associations, consumer groups,
                                                  recommendations as a general matter,                    applicable privacy laws. Several                      and individual commenters supported
                                                  but it reserves discretion to assess                    consumer groups and one company, on                   the simultaneous posting of the
                                                  whether there are good-faith bases for                  the other hand, commented that the                    consumer narrative and company
                                                  the recommendations. In addition, the                   same response, but in redacted form,                  response. One consumer group
                                                  Bureau plans to assess its review                       should be publicly displayed in order to              recommended posting the consumer
                                                  process over time. The Bureau plans for                 provide the public with the necessary                 narrative after 15 days, and posting the
                                                  this functionality to apply to all                      context to interpret the data. Some trade             company’s public response as it
                                                  consumer complaints disclosed via the                   associations commented that it would                  becomes available. Several commenters
                                                  Consumer Complaint Database (and not                    be operationally burdensome to create                 recommended 45 days; one company
                                                  only those with consumer consent to                     two separate responses.                               recommended 60 days. One commenter
                                                  disclose the associated narrative).                        The Bureau plans to ensure that                    recommended publication after 35 days,
                                                     Although this approach was not                       companies have the option to provide                  to align generally with timing provided
                                                  specifically proposed by commenters,                    both a private (to-consumer) response                 under the Fair Credit Reporting Act for
                                                  the Bureau believes that it should                      and recommended public-facing                         consumer reporting agencies to
                                                  eliminate or significantly mitigate the                 structured (to be shared via the                      reinvestigate and respond to consumer
                                                  concerns, raised by companies, arising                  Database) response to a consumer’s                    disputes.
                                                  from the risk of public disclosure of                   complaint. One of the principal benefits                There are at least three timing options
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                                                  protected confidential information.                     for consumers of the Bureau’s complaint               regarding the disclosure of the
                                                  Companies that voluntarily decide to                    handling services is the requirement                  consumer narrative and company
                                                  provide a public-facing response will                   that companies respond to the consumer                response: (1) Disclose the consumer
                                                  not be put in a position of assessing                   and the Bureau remains committed to                   narrative and company response (if
                                                  what level of detail will address a                     keeping the focus on assisting                        available) when the company provides
                                                  complaint while protecting confidential                 consumers with their complaints. Based                an initial response, but no later than 15
                                                  information. The Bureau believes                        on data available in the Consumer                     days after the complaint is routed to the
                                                  companies will be more likely to                        Complaint Database, approximately                     company (the system currently in place


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                                                                                Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices                                                 15579

                                                  for non-narrative complaint data), (2)                  reviewing consumer complaints,                        suggestion, including the
                                                  disclose the consumer narrative and                     company responses, and ensuing                        appropriateness of collecting protected
                                                  company response (if available) 15 days                 resolutions, the Bureau believes that no              group data, its representativeness, and
                                                  after the complaint is routed to the                    additional back-and-forth functionality               the potential challenges with disclosing
                                                  company, or (3) disclose the consumer                   is necessary at this time.                            protected group data given the Bureau’s
                                                  narrative when the company provides                                                                           sensitivity to re-identification risk.
                                                                                                          b. Removal of Old Narratives                            Furthermore, as discussed elsewhere,
                                                  its public-facing response, but no later
                                                  than 60 days after the complaint is                       Several trade associations and one                  the Bureau’s Database scrubbing
                                                  routed to the company. Under all three                  company commented that complaints                     standard would remove demographic
                                                  options, the complaint’s structured                     and narratives should be removed from                 information such as gender, age, and
                                                  closure responses would continue to                     the database after a given step in the                race, and ethnicity provided by
                                                  follow the current disclosure timing                    process or given amount of time, e.g.,                consumers in the text of their narratives.
                                                  (option number 1) and the consumer                      quarterly.                                            D. Consumer Consent to Disclose
                                                  narrative would only be disclosed once                    The Bureau believes that consumers                  Narratives
                                                  it is scrubbed of personal information.                 and the marketplace are capable of
                                                  However, only option three guarantees                   independently assessing the value of                  1. Opt-in Consumer Consent
                                                  that a public-facing company response,                  complaints based in part on when those                   Trade associations, consumer groups,
                                                  to the extent one is provided within the                complaints were submitted and                         and individual commenters supported
                                                  60-day period, would be disclosed                       therefore has no plans to remove                      the proposed opt-in feature requiring a
                                                  contemporaneously with the consumer                     complaints from the Consumer                          consumer’s consent in order for
                                                  narrative.                                              Complaint Database based on their age                 narratives to be eligible for publication.
                                                     After careful consideration, therefore,              or status.                                            A trade association representing news
                                                  the Bureau intends to adopt option                      c. Normalization                                      organizations asserted its view that
                                                  number three. Option number one could                                                                         narratives are subject to disclosure
                                                  force the company to choose between its                   Several trade associations and                      under FOIA regardless of consumer
                                                  desire to respond to and close                          companies commented that the                          consent. Based on this viewpoint, it
                                                  complaints quickly versus its desire to                 unstructured narrative data should be                 urged that at most the Bureau should
                                                  provide an appropriate public facing                    accompanied by information providing                  permit consumers to opt-out of
                                                  response. Option number two may                         context to the company’s profile,                     publication as opposed to having to opt-
                                                  result in instances in which the                        including how many transactions the                   in. Commenters also generally agreed
                                                  company legitimately needs additional                   company conducts per year, how many                   that consumers should maintain the
                                                  time, has appropriately communicated                    complaints are received, and how many                 right to revoke their consent at any time.
                                                  to the Bureau an ‘‘in progress’’ response               complaints are satisfactorily resolved.                  A central tenet of the Bureau’s work
                                                  (allowing for up to 60 days to respond),                  The Bureau notes the general                        is to empower consumers; providing
                                                  and yet the consumer narrative is made                  agreement by commenters that                          them with the option to opt-in (as
                                                  public on day 15 and possibly without                   normalization would improve the                       opposed to requiring them to opt-out)
                                                  an accompanying company response.                       quality of the data in the Consumer                   and the right to withdraw their consent
                                                  Option three carries a similar risk to                  Complaint Database. As discussed in the               to publication of their narrative in the
                                                  option number one, potentially creating                 Bureau’s notices of its previous policy               Consumer Complaint Database at any
                                                  the incentive for companies to delay                    statements, data normalization is a                   time advances that end.28 With respect
                                                  providing an optional public-facing                     complicated issue, and one that the                   to the comment about the application of
                                                  response for the full 60-day allowance                  Bureau is continuing to explore.27 The                the FOIA to narratives, the Chief FOIA
                                                  (and thus delaying disclosure of the                    Bureau also notes that market                         Officer is authorized to grant or deny
                                                  consumer narrative). However, erring on                 participants, news organizations, and                 any request for a record of the CFPB, in
                                                  the side of fairness to companies by                    consumer groups can and have created                  accordance with the requirements of the
                                                  ensuring contemporaneous release, the                   normalized results.                                   FOIA and the Bureau’s regulations. 12
                                                  Bureau plans to implement option three.                                                                       CFR 1070.15. If the Bureau receives
                                                                                                          d. Protected Group Information                        FOIA requests for records that are not
                                                  3. Maintaining the Complaint Database                     Several consumer groups requested                   published in the Consumer Complaint
                                                  a. Updates to Published Narratives                      the inclusion of protected group                      Database pursuant to this Final Policy
                                                                                                          information, such as sex, ethnicity, race,            Statement, the Chief FOIA Officer will
                                                    Several consumer groups commented                                                                           determine whether to grant the request,
                                                                                                          age, disability, marital status, or
                                                  that consumers should be allowed to                                                                           or to deny it due to the applicability of
                                                                                                          national origin, on complaint
                                                  update narratives to inform the public of                                                                     FOIA exemptions.
                                                                                                          submissions. These comments noted
                                                  the status of the complaint. Some trade
                                                                                                          that it would be helpful to have this                 2. Placement and Design of Consent
                                                  associations asked that consumers be
                                                                                                          information to identify trends in
                                                  provided the ability to remove their                                                                             Some commenters discussed the
                                                                                                          companies’ business practices.
                                                  narratives if they are satisfied with the                                                                     appearance of the opt-in form.
                                                                                                            The Bureau agrees that the collection
                                                  complaint resolution.                                                                                         Consumer groups requested that the opt-
                                                                                                          and public disclosure of protected group
                                                    Once given, at any point in the                                                                             in be presented to the consumer early in
                                                                                                          data has the potential to increase the
                                                  process, consumers will have the ability                                                                      the complaint process so that consumers
                                                                                                          quality of the dataset made available via
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                                                  to withdraw their consent regarding                                                                           can consider the implications as they
                                                                                                          the Consumer Complaint Database.
                                                  publication of their narrative in the                                                                         draft their complaints. One company
                                                                                                          However, there remain many open
                                                  Consumer Complaint Database. At such                                                                          recommended providing the option to
                                                                                                          questions that the Bureau must first
                                                  time the consumer’s narrative will be                                                                         opt-in only once the consumer has
                                                                                                          explore before moving forward on this
                                                  removed from the Database. However,                                                                           received a response and has had the
                                                  data already downloaded by the public                      27 2012 Notice of Final Policy Statement, 77 FR
                                                  cannot be recalled by the Bureau. Based                 at 37564 (June 22, 2012); 2013 Notice of Final         28 ‘‘Our Mission’’ http://

                                                  on the Bureau’s experience to date                      Policy Statement, 78 FR at 21222 (April 10, 2013).    www.consumerfinance.gov/strategic-plan/.



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                                                  15580                         Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices

                                                  opportunity to consider the implications                the information merely by submitting it                alongside redacted narratives.30 By and
                                                  of publication. Some consumer groups                    to the Bureau.29                                       large the responses that were received
                                                  recommended that, to encourage                                                                                 supported two options. The majority of
                                                                                                          E. Personal Information Scrubbing
                                                  publication, the opt-in option be                                                                              commenters suggested the Bureau
                                                                                                          Standard and Methodology
                                                  displayed prominently on the consent                                                                           disclose 5-digit ZIP codes, except where
                                                  form. Additionally, some commenters                     1. Scrubbing Standard and Methodology                  population in the ZIP code contains
                                                  requested that consumers have a                                                                                fewer than 10,000 people. The second
                                                  distinct field on the form in which they                  The Bureau requested feedback on the                 most cited option recommended
                                                  can specify what personal information                   standard and methodology it intends to                 disclosing full 5-digit ZIP codes,
                                                  they want excluded from their narrative.                utilize for scrubbing personal                         regardless of population. On the other
                                                    The Bureau plans to place the opt-in                  information in the narratives. This                    extreme, one commenter suggested that
                                                  consent at the submission phase of the                  scrubbing standard would be applied                    ZIP codes should be excluded
                                                  complaint. The Bureau believes the                      comprehensively to all data shared via                 altogether, with state or county being
                                                  decision whether or not to consent is                   the Consumer Complaint Database.                       used as the geographic identifier.
                                                  most appropriate at the actual time of                  Consumer groups offered comments                          While the Bureau acknowledges the
                                                  complaint submission. This decision is                  supporting the proposed use of                         unique value of detailed geographic
                                                  consistent with the practice of the                     modified Health Insurance Portability                  data, it is also acutely aware of the
                                                  Consumer Product Safety Commission,                     and Accountability Act (‘‘HIPAA’’)                     heightened risk 5-digit ZIP codes can
                                                  which also obtains consent to disclose                  standards for scrubbing narratives.                    create for re-identification. Accordingly,
                                                  complaint narratives in its public-facing               Some companies expressed concern that                  the Bureau plans to disclose 5-digit ZIP
                                                  database.                                               significant identifiers associated with                codes, except where the population in
                                                                                                          major life events may remain,                          the ZIP code contains fewer than 20,000
                                                  3. Elements of Informed Consent                         notwithstanding the scrubbing process.                 people. In such cases, the Bureau plans
                                                     Some commenters recommended                          One company commented that                             to disclose the 3-digit ZIP code, except
                                                  including disclaimers with the opt-in                   scrubbing should be applied to all                     where the 3-digit ZIP code population
                                                  feature that notify consumers of what                   identifying information, including                     contains fewer than 20,000 people, in
                                                  the commenters perceived to be a risk                   references to third parties. Another                   which case the Bureau does not intend
                                                  of defamatory speech. Some trade                        company noted the differences between                  to disclose any ZIP code data. While
                                                  associations and companies commented                    health data and unstructured narratives,               this approach represents a different
                                                  that the Bureau should inform                           expressing concern that a HIPAA-based                  approach than those suggested by most
                                                  consumers of the risks of narrative                     methodology would not be effective and                 commenters, the Bureau believes that
                                                  publication, including the possibility of               that the Bureau has not provided                       this option appropriately balances the
                                                  re-identification. Trade associations and               sufficient detail on the scrubbing                     utility of geographic data with the
                                                  companies generally commented that                      mechanism to be used. One privacy                      associated risk to individual consumer
                                                  the consumer should be notified of the                  organization recommended that the                      privacy. As with all elements of its
                                                  company response procedure and risks                    Bureau scrub company responses.                        scrubbing standard, the Bureau intends
                                                  of consenting to publication. One press                   The Bureau’s Database scrubbing                      to make adjustments in the future
                                                  group commented that the consumer                       standard is modeled after the HIPAA                    guided by the goal of simultaneously
                                                  should be notified that his or her                      Safe Harbor Method, which is generally                 maximizing data utility and individual
                                                  narrative is subject (in the commenter’s                considered to represent a best practice                privacy.
                                                  view) to FOIA disclosure. One                           for de-identifying data. In addition to                3. Re-identification
                                                  consumer group commented that                           adopting most of the specific HIPAA
                                                  consumers should be notified that                       identifiers, the Bureau also plans to                     Several trade associations and
                                                  consenting to publication may provide                   remove: (1) Demographic information                    companies commented that despite the
                                                  additional assistance to other consumers                such as gender, age, race, and ethnicity;              proposed scrubbing methodology, an
                                                  facing similar issues. The Bureau agrees                (2) appropriate analogues to HIPAA                     unacceptably high risk of re-
                                                  that when a consumer is making the                      identifiers in the consumer financial                  identification will remain. Some
                                                  decision whether or not to opt-in, it is                domain, e.g., credit card numbers; and                 commented that in areas with small
                                                  essential that the consumer have the                    (3) identifiers which the Bureau knows                 populations, even scrubbed narratives
                                                  information to weigh appropriately the                  appear in complaints and could                         could lead to re-identification based on
                                                  risks of consenting to the disclosure of                reasonably be used to identify                         other details not covered by HIPAA
                                                  their de-identified narrative against                   individuals, e.g., references to third                 standards. One company also
                                                  individual and public benefits of doing                 parties other than the company that is                 commented that the risk of narrative
                                                  so. In support of that goal, in addition                the subject of the complaint. The                      content being repeated through social
                                                  to the consent language, the Bureau                     scrubbing methodology contemplates a                   media raises the possibility of re-
                                                  intends to provide clear, easily                        computer-based automated step and a                    identification by individuals familiar
                                                  understandable material describing the                  quality assurance step or steps                        with the consumer. Consumer and
                                                  scrubbing standard, methodology, and                    performed by human reviewers.                          privacy groups commented that the risk
                                                  publication process, the remaining risk                                                                        of re-identification is minimal, and
                                                                                                          2. ZIP Codes                                           offset by the benefits of the policy and
                                                  to privacy, and the possibility of re-
                                                  identification. The Bureau is committed                                                                        rigor of the scrubbing standard.
                                                                                                           The Bureau requested feedback on
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                                                                                                                                                                    As the Bureau stated in the Proposed
                                                  to continuously improving these                         whether to disclose 5-digit ZIP codes                  Policy Statement, sharing data
                                                  materials over time to empower the
                                                                                                                                                                 containing any personal information
                                                  consumer to make the most appropriate                     29 The Bureau emphasizes that the consent
                                                                                                                                                                 presents a tension between data utility
                                                  choice for his or her individual needs                  procedure described in the text for authorizing
                                                                                                          public disclosure of narratives may not be adequate    and individual privacy. As a particular
                                                  and circumstances.
                                                                                                          to satisfy consent requirements under other statutes
                                                     However, consumers do not waive                      and regulations that the Bureau administers or           30 Disclosure of Consumer Complaint Narrative
                                                  any privacy interests they may have in                  enforces.                                              Data, 79 FR at 42769 (July 23, 2014).



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                                                                                Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices                                                     15581

                                                  personal information scrubbing                          Statement, the Bureau intends to further              3. The Appearance of Validating
                                                  standard becomes more or less stringent,                explore ways in which positive                        Complaints by the Act of Disclosing
                                                  the utility of a given de-identified                    company behavior may be highlighted.                  Them
                                                  dataset may become respectively less or                 Concurrent with the Final Policy                         Several trade associations, companies,
                                                  more useful. The publication of                         Statement, the Bureau is publishing a                 and individual commenters stated that
                                                  narratives involves risks, including the                Request for Information to solicit and                by including unverified comments on a
                                                  potential harm associated with the re-                  collect input from the public on the                  government Web site, the narratives will
                                                  identification of actual consumers                      potential collection, identification, and             be portrayed as being validated by the
                                                  within the Consumer Complaint                           sharing of data and feedback specific to              Bureau.
                                                  Database. The Bureau believes that it is                positive interactions with providers of                  Similar concerns were previously
                                                  appropriate to publish only those                       consumer financial products and                       raised and addressed by the Bureau in
                                                  narratives for which opt-in informed                    services.                                             the 2012 Notice of Final Policy
                                                  consumer consent has been obtained,                     2. Effect on Consumer Relations                       Statement.31 The Bureau acknowledged
                                                  that have also been subjected to                                                                              the possibility that some consumers
                                                  scrubbing under a robust personal                          Several companies, trade associations,             may (or may be led to) draw erroneous
                                                  information scrubbing standard and                      and a public interest organization                    conclusions from the data. That is true,
                                                  methodology.                                            commented that publicly posting                       however, for any market data. In
                                                                                                          narratives could create disincentives for             recognition of this risk the Bureau
                                                  F. Impact of Narrative Publication on                   consumers to deal directly with
                                                  Companies and the Marketplace                                                                                 provides the following disclaimer on the
                                                                                                          companies to resolve their disputes.                  Consumer Complaint Database: ‘‘We
                                                  1. Reputational Harm                                    Some commenters requested that                        don’t verify all the facts alleged in these
                                                                                                          narratives only be posted after the                   complaints but we take steps to confirm
                                                     Trade associations commented that                    consumer has directly contacted the
                                                  the public disclosure of unverified                                                                           a commercial relationship between the
                                                                                                          company. A few trade associations                     consumer and company. Complaints are
                                                  narratives would result in reputational                 commented that narrative publication
                                                  harm to companies. Some comments                                                                              listed here after the company responds
                                                                                                          would cause general harm to customer                  or after they have had the complaint for
                                                  argued that any perceived benefit to                    relations by making the process more
                                                  consumers through narrative                                                                                   15 calendar days, whichever comes first.
                                                                                                          adversarial.                                          We remove complaints if they don’t
                                                  publication would be outweighed by the                     The data collected from the Bureau’s
                                                  reputational harm suffered by                                                                                 meet all of the publication criteria. Data
                                                                                                          credit card intake form and survey work
                                                  companies.                                                                                                    is refreshed nightly.’’ The Bureau
                                                                                                          shows that the vast majority of
                                                     The Bureau takes seriously company                                                                         believes this disclaimer to be sufficient
                                                                                                          consumers have already attempted,
                                                  and trade association concerns that                                                                           to address the risk identified by
                                                                                                          often several times, to resolve the
                                                  financial institutions could incur                                                                            commenters.
                                                                                                          complained-about issue with the                          As discussed elsewhere, it is
                                                  intangible reputational damage as a                     company before seeking assistance from
                                                  result of the disclosure of narratives. As                                                                    noteworthy that several other
                                                                                                          the Bureau. As previously stated, a                   government agencies make consumer
                                                  stated in previous policy statements, to                central element of the Bureau’s mission
                                                  a large extent, this risk is inherent in                                                                      complaint narratives available,
                                                                                                          is to empower consumers; the Bureau                   including the Consumer Product Safety
                                                  any release of complaint data. In                       believes that requiring consumers to
                                                  deciding to release the structured                                                                            Commission, the National Highway
                                                                                                          contact the company before engaging                   Transportation Safety Administration,
                                                  complaint data, the Bureau considered                   the Bureau would work against that                    and, pursuant to FOIA requests, the
                                                  this concern and concluded that, while                  goal. Such an additional procedural                   Federal Trade Commission.
                                                  there is always a risk that market                      hurdle may also discourage some
                                                  participants will draw erroneous                        number of consumers from submitting                   4. Consumer Confusion and Lack of
                                                  conclusions from available data, the                    complaints, which would have the                      Context
                                                  marketplace of ideas would on the                       effect of depriving the Bureau of the                    Several trade associations commented
                                                  whole be able to determine what the                     information underlying the complaint.                 that unstructured narrative data
                                                  data show and their relative importance.                This could serve to undermine Bureau                  provides minimal benefit to consumers
                                                  The Bureau believes this to be equally                  functions that rely, at least in part, on             as required scrubbing would remove
                                                  true with respect to narratives, and that               complaint data to inform their                        any useful information from the
                                                  consumer narrative publication will in                  respective activities.                                narrative and responses. Some trade
                                                  fact make it easier for the marketplace                    Similarly the Bureau is skeptical of               association comments added that the
                                                  to evaluate the rest of the complaint                   concerns that disclosing narratives                   Bureau’s resources would be better
                                                  data by providing more information and                  would create disincentives for                        utilized by providing more context for
                                                  context. Likewise, the Bureau also                      consumers to deal directly with the                   data already provided in the Database.
                                                  believes that the option for companies                  company and would cause general harm                  Some consumer groups requested better
                                                  to provide public-facing structured                     to customer relations by making the                   organization of the data provided in the
                                                  responses will enhance the effectiveness                process more adversarial. Feedback the                Database.
                                                  of the Database and provide an                          Bureau has received suggests the                         As noted previously, sharing data
                                                  opportunity for companies to enhance                    introduction of the Consumer                          containing personal information
                                                  their reputation and mitigate potential                 Complaint Database and the Bureau’s                   presents a tension between data utility
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                                                  concerns.                                               activities generally have caused greater              and individual privacy. The Bureau
                                                     Consistent with these comments, the                  investment by companies in their                      believes, based on the comments
                                                  Bureau believes that the Database                       customer service operations, which                    received from various consumer and
                                                  should include data that provides an                    includes company complaint handling.                  privacy groups, that it is possible to
                                                  unbiased perspective on company                         The Bureau views this development as                  strike a balance between these two
                                                  behavior toward consumers.                              a positive step for customer service at
                                                  Accordingly, in parallel to the                         companies that are making such                           31 2012 Notice of Final Policy Statement, 77 FR

                                                  finalization of the instant Final Policy                investments.                                          at 37562 (June 22, 2012).



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                                                  15582                         Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices

                                                  important interests and still disclose a                the financial burden of producing                     require a consumer to withdraw his or
                                                  dataset that provides significant benefit               additional responses to narratives.                   her consent to have a narrative
                                                  to the marketplace. The Bureau will                       As noted above, and in light of the                 published as a condition of settlement.
                                                  continually monitor this balance for                    comments received, the Bureau intends
                                                                                                          to provide companies with a finite list               IV. Implementing the Final Policy
                                                  opportunities to adjust its personal                                                                          Statement
                                                  information scrubbing standard, which                   of optional structured responses that
                                                  the Bureau intends to describe on its                   will allow them to recommend to the                      Following publication of the Final
                                                  Web site. Furthermore, the Bureau is                    Bureau an optional public response to                 Policy Statement, the Bureau will turn
                                                  committed to the continuous                             address the substance of consumers’                   to implementation of the policy. The
                                                  improvement of the Consumer                             complaints. The Bureau believes that                  Bureau intends to modify its Web site
                                                  Complaint Database, which includes the                  this approach significantly decreases the             and online complaint intake form to
                                                  addition of increasing levels of context,               operational costs of providing                        collect informed opt-in consumer
                                                  organization, and data normalization.                   independent public-facing responses, as               consent. In conjunction with the
                                                                                                          compared to the Bureau’s proposal of                  collection of consumer consent, the
                                                  5. Increased Litigation                                 providing separate narrative responses.               Bureau intends to finalize and post on
                                                     A few companies and trade                            Still, the Bureau acknowledges that                   its Web site the Consumer Complaint
                                                  associations commented that the                         additional effort and expense may be                  Database scrubbing standard. The
                                                  publication of narratives would lead to                 borne by companies in connection with                 Bureau will also modify the company
                                                  increased litigation, either through                    preparing public-facing responses to                  web portal to add functionality to allow
                                                  potentially ‘‘defamatory’’ narratives                   consumer narratives. The Bureau has                   companies to provide the recommended
                                                  posted by consumers or as a result of                   weighed these factors, in addition to the             public-facing responses, reach out to
                                                  additional information available to                     increased burdens on the Bureau’s own                 companies on the company web portal
                                                  prospective plaintiffs. One company                     complaint handling operation. The                     to offer training and provide technical
                                                  expressed the concern that complaints                   Bureau considers it a matter of fairness              support related to the policy. The
                                                  and narratives could be sources of                      to provide companies with the                         Bureau will finalize its automated and
                                                  information appropriately left to be                    opportunity to address publicly                       manual review processes and then begin
                                                  obtained during the discovery process.                  consumer complaints from the                          scrubbing narratives.
                                                  One trade association also commented                    company’s perspective. It is important                   The Bureau will not disclose any
                                                  that the privacy risks of published                     to recognize that no company will be                  scrubbed and consented-to narratives
                                                  narratives could increase the risk of                   required to recommend a public-facing                 until sufficient time has elapsed to
                                                  legal liability and heighten litigation                 response, and it is entirely up to the                allow the Bureau to adequately
                                                  costs. One legal aid organization                       company whether it wants to take                      complete and assess the above actions.
                                                  commented that the availability of                      advantage of this forum. The Bureau
                                                                                                          does not believe that the additional                  V. Final Policy Statement
                                                  complaint narratives would help                                                                                  The Bureau hears directly from the
                                                                                                          burden a company may bear in taking
                                                  consumer advocacy groups to identify                                                                          American public about their
                                                                                                          advantage of this opportunity,
                                                  local trends of unlawful behavior and                                                                         experiences with the nation’s consumer
                                                                                                          particularly given the Bureau’s
                                                  target legal efforts more effectively.                                                                        financial marketplace. An important
                                                                                                          movement to structured responses and
                                                     The Bureau believes the risk of                      away from unstructured narrative                      element of the Bureau’s mission is the
                                                  increased litigation following the                      company responses, outweighs the                      handling of individual consumer
                                                  disclosure of narratives to be low. The                 benefit of publicly disclosing narratives             complaints regarding consumer
                                                  closest analogs to the Bureau’s plan for                to consumers and the marketplace.                     financial products and services.
                                                  narrative disclosure are the Consumer                                                                            In June 2012, the Bureau began
                                                  Product Safety Commission’s public-                     7. Confidentiality Agreements                         making de-identified individual-level
                                                  facing complaint database and the                          One individual commented that the                  complaint data available via its web-
                                                  Federal Trade Commission’s disclosures                  public posting of consumer narratives                 based, public-facing database (the
                                                  pursuant to FOIA requests; the Bureau                   would create an incentive for companies               ‘‘Consumer Complaint Database’’). Since
                                                  is not aware of any information that                    to require consumers to sign non-                     launch, the Consumer Complaint
                                                  those disclosures have increased                        disclosure agreements when creating an                Database has been expanded to include
                                                  litigation against companies. Ultimately,               account. This commenter recounted an                  additional consumer financial products
                                                  the Bureau believes there is significant                experience in which he submitted a                    and data fields as products have been
                                                  value in making available Bureau                        complaint to the Bureau and when                      added to its complaint handling system.
                                                  complaint data to help in the                           settling the matter with the company,                 Consistent with its strategic vision, the
                                                  identification of and calling attention to              the company asked him to sign a                       Bureau is committed to the continued
                                                  potentially unlawful behavior.                          confidentiality agreement.                            growth and refinement of the Consumer
                                                                                                             The Bureau’s experience to date has                Complaint Database in a manner that
                                                  6. Increased Company Costs
                                                                                                          not uncovered widespread company use                  helps inform consumers and the
                                                    Several trade associations and                        of non-disclosure agreements in                       marketplace while still protecting
                                                  companies commented that the                            connection with the Consumer                          privacy and incorporating appropriate
                                                  additional procedure of creating a                      Complaint Database, and no company                    security controls.
                                                  second, public-facing response, and                     comments on the proposed Policy have
                                                                                                                                                                A. Consumer Narratives
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                                                  ensuring its compliance with potentially                indicated that companies intend to
                                                  applicable laws, would increase                         utilize non-disclosure agreements as gag                The Bureau plans to provide
                                                  operational costs for companies. Some                   orders in the way envisioned by this                  consumers who submit their complaints
                                                  of these commenters also emphasized                     comment. The Bureau’s market                          directly to the Bureau the opportunity to
                                                  the increased costs to the Bureau                       monitoring will remain alert to                       share their individual stories with other
                                                  resulting from additional infrastructure                developments along these lines.                       consumers and the marketplace by
                                                  necessary to publish narratives. One                    However, the Bureau would likely look                 including consumer complaint
                                                  public interest group also highlighted                  disfavorably upon agreements that                     narratives in the Consumer Complaint


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                                                                                 Federal Register / Vol. 80, No. 56 / Tuesday, March 24, 2015 / Notices                                           15583

                                                  Database where consent for publication                   financial domain, e.g., credit card                   BUREAU OF CONSUMER FINANCIAL
                                                  is first obtained from the consumer.                     numbers; and (3) identifiers which the                PROTECTION
                                                  Only those narratives for which opt-in                   Bureau knows appear in complaints and
                                                                                                                                                                 [Docket No. CFPB–2015–0013]
                                                  consumer consent is obtained and a                       could reasonably be used to identify
                                                  robust personal information scrubbing                    individuals, e.g., personal information               Request for Information Regarding the
                                                  standard and methodology is applied                      pertaining to third parties other than the            Consumer Complaint Database
                                                  will be eligible for disclosure.                         company that is the subject of the
                                                                                                           complaint. All consumer complaint data                AGENCY: Consumer Financial Protection
                                                  B. Consumer Consent To Disclose                                                                                Bureau.
                                                  Narratives                                               shared via the Consumer Complaint
                                                                                                           Database will be subject to this standard             ACTION: Notice and request for
                                                     The Bureau intends to disclose only                   and methodology, including, e.g., ZIP                 information.
                                                  narratives for which informed consent                    code. The Bureau plans to make this
                                                  has been obtained and that have been                     scrubbing standard available on the                   SUMMARY:    The Bureau of Consumer
                                                  scrubbed for personal information. To                                                                          Financial Protection (the ‘‘Bureau’’) is
                                                                                                           Bureau’s Web site. The scrubbing
                                                  obtain informed consumer consent, the                                                                          issuing a Notice and Request for
                                                                                                           methodology contemplates a computer-
                                                  Bureau plans to give consumers who                                                                             Information (‘‘RFI’’) to solicit and
                                                                                                           based automated step and a quality
                                                  submit a complaint the opportunity to                                                                          collect input from the public on the
                                                                                                           assurance step or steps performed by
                                                  check a consent box, with                                                                                      potential collection and sharing of
                                                                                                           human reviewers.
                                                  accompanying language that will state,                                                                         consumer compliments about providers
                                                  among other things, and in plain                         D. Company Response                                   of consumer financial products and
                                                  language, that: (1) Whether or not                         The Bureau plans to give companies                  services and more information about a
                                                  consent is given will not otherwise                      the opportunity to respond publicly to                company’s complaint handling.
                                                  impact how the Bureau handles the                        the substance of the consumer                         DATES: Submit comments on or before
                                                  complaint; (2) if given, the consumer                    complaints they receive from the                      May 26, 2015.
                                                  may thereafter inform the Bureau that                    Bureau. Within the secure web portal                  ADDRESSES: You may submit responsive
                                                  the consumer withdraws consent at any                    companies use to respond to                           information and other comments,
                                                  time and the narrative will be removed                   complaints, the Bureau intends to add a               identified by Docket No. CFPB–2015–
                                                  from the Consumer Complaint Database;                    set list of structured company response               0013, by any of the following methods:
                                                  and (3) the Bureau will take reasonable                  options; a responding company will be                    • Electronic: http://
                                                  steps to remove personal information                     given an opportunity to recommend to                  www.regulations.gov. Follow the
                                                  from the complaint to address risk of re-                the Bureau which option, if any, it                   instructions for submitting comments.
                                                  identification.                                          would like included as a public-facing                   • Mail: Monica Jackson, Office of the
                                                                                                           response to address the substance of the              Executive Secretary, Consumer
                                                  C. Personal Information Scrubbing
                                                                                                           consumer’s complaint. Companies will                  Financial Protection Bureau, 1700 G
                                                  Standard and Methodology                                                                                       Street NW., Washington, DC 20552.
                                                                                                           be under no obligation to avail
                                                    Sharing data containing personal                                                                                • Hand Delivery/Courier: Monica
                                                                                                           themselves of this opportunity.
                                                  information presents a tension between                                                                         Jackson, Office of the Executive
                                                  data utility and individual privacy. As                  E. Continuous Improvement                             Secretary, Consumer Financial
                                                  a particular personal information                          The Bureau plans to implement a                     Protection Bureau, 1275 First Street NE.,
                                                  scrubbing standard becomes more or                       testing and continuous improvement                    Washington, DC 20002.
                                                  less stringent, the utility of a given de-               process to ensure that as applied, the                   Instructions: The Bureau encourages
                                                  identified dataset may become                            Bureau’s standard and methodology for                 the early submission of comments. All
                                                  respectively less or more useful.                        scrubbing personal information                        submissions must include the document
                                                    Within its judgment and discretion,                                                                          title and docket number. Because paper
                                                                                                           adequately protects consumers. The
                                                  and in order to address the risk of re-                                                                        mail in the Washington, DC area and at
                                                                                                           Bureau intends to continue to adjust its
                                                  identification, the Bureau intends to                                                                          the Bureau is subject to delay,
                                                                                                           scrubbing standard and methodology,
                                                  apply to all publicly-disclosed                                                                                commenters are encouraged to submit
                                                                                                           guided by the goal of simultaneously
                                                  narratives a robust personal information                                                                       comments electronically. In general, all
                                                                                                           maximizing data utility and individual
                                                  scrubbing standard and methodology. In                                                                         comments received will be posted
                                                                                                           privacy.
                                                  designing its scrubbing standard, the                                                                          without change to http://
                                                  Bureau relied heavily on guidance by                     VI. Effect of Policy Statement                        www.regulations.gov. In addition,
                                                  the Department of Health and Human                          This Policy Statement is intended to               comments will be available for public
                                                  Services regarding de-identification of                  provide information regarding the                     inspection and copying at 1275 First
                                                  health data, as outlined in the Health                   Bureau’s plans to exercise its discretion             Street NE., Washington, DC 20002, on
                                                  Insurance Portability and                                to publicly disclose certain data derived             official business days between the hours
                                                  Accountability Act (‘‘HIPAA’’) Privacy                   from consumer complaints. The Policy                  of 10 a.m. and 5 p.m. Eastern Time. You
                                                  Rule.32 The Bureau’s current scrubbing                   Statement does not impose any legal                   can make an appointment to inspect the
                                                  standard is modeled after the HIPAA                      obligations on third parties, nor does it             documents by telephoning (202) 435–
                                                  Safe Harbor Method, which is generally                   create or confer any substantive or                   7275.
                                                  considered to represent a best practice                  procedural rights on third parties that                  All submissions, including
                                                  for de-identifying data. In addition to                  could be enforceable in any                           attachments and other supporting
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                                                  adopting (and removing) most of the                      administrative or civil proceeding.                   materials, will become part of the public
                                                  specific HIPAA identifiers, the Bureau                                                                         record and subject to public disclosure.
                                                  also plans to remove: (1) Demographic                      Dated: March 12, 2015.                              Sensitive personal information, such as
                                                  information such as gender, age, race,                   Richard Cordray,                                      account numbers or Social Security
                                                  and ethnicity; (2) appropriate analogues                 Director, Bureau of Consumer Financial                numbers, should not be included.
                                                  to HIPAA identifiers in the consumer                     Protection.                                           Submissions will not be edited to
                                                                                                           [FR Doc. 2015–06722 Filed 3–23–15; 8:45 am]           remove any identifying or contact
                                                    32 45   CFR 164.514.                                   BILLING CODE 4810–AM–P                                information.


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Document Created: 2015-12-18 11:44:35
Document Modified: 2015-12-18 11:44:35
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionFinal Policy Statement.
ContactScott Pluta, Assistant Director, Office of Consumer Response, Bureau of Consumer Financial Protection, at (202) 435-7306.
FR Citation80 FR 15572 

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