Bureau of Consumer Financial Protection: Deceptive Representations Involving FDIC's Name or Logo or Deposit Insurance
The notice was issued by
DATES: The Bureau released this circular on its website on
FOR FURTHER INFORMATION CONTACT:
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In this circular, the Bureau responds to the question, "When do representations involving the name or logo of the
SUPPLEMENTARY INFORMATION:
Question Presented
When do representations involving the name or logo of the
Response
Covered persons or service providers likely violate the CFPA's prohibition on deception if they misuse the name or logo of the
Analysis
The Bureau administers a number of laws and regulations relating to the offering or providing of deposit accounts, including these provisions:[1]
- The Truth in Savings Act and its implementing regulation (Regulation DD), which enable consumers to make informed decisions about their accounts at depository institutions through the use of uniform disclosures;[2]
- The Electronic Fund Transfer Act and its implementing regulation (Regulation E), which protect consumers engaging in electronic fund transfers and remittance transfers;[3]
- Portions of the Federal Deposit Insurance Act (FDI Act) and its implementing regulations, which require depository institutions lacking Federal deposit insurance to make certain disclosures;[4]
- The CFPA, which, among other things, prohibits unfair, deceptive, or abusive acts or practices.[5]
Deposit insurance has long been a means to promote confidence in the banking system. The most common form of deposit insurance is administered by the
Representations about deposit insurance may be particularly relevant with respect to new financial products or services, especially those involving new technologies such as digital assets, including crypto assets. New technologies may yield significant benefits for consumers, workers, and small businesses. Nonetheless, especially with respect to new technologies, some market participants may seek to entice consumers to use their products or services by deceptively advertising that uninsured products or services are
The
Section 18(a)(4) of the FDI Act, 12 U.S.C. 1828(a)(4), prohibits any person from engaging in false advertising or misusing the name or logo of the
Material misrepresentations are "deceptive" practices in violation of the CFPA.[14] Like FDI Act section 18(a)(4)(A), which prohibits any false advertising or misuse of the name or logo of the
Covered persons or service providers likely violate the CFPA's prohibition on deception if they misuse the name or logo of the
About Consumer Financial Protection Circulars
Consumer Financial Protection Circulars are issued to all parties with authority to enforce Federal consumer financial law. The
Consumer Financial Protection Circulars are intended to promote consistency in approach across the various enforcement agencies and parties, pursuant to the
Consumer Financial Protection Circulars are also intended to provide transparency to partner agencies regarding the
Consumer Financial Protection Circulars are general statements of policy under the Administrative Procedure Act. 5 U.S.C. 553(b). They provide background information about applicable law, articulate considerations relevant to the Bureau's exercise of its authorities, and, in the interest of maintaining consistency, advise other parties with authority to enforce Federal consumer financial law. They do not restrict the Bureau's exercise of its authorities, impose any legal requirements on external parties, or create or confer any rights on external parties that could be enforceable in any administrative or civil proceeding. The CFPB Director is instructing
Director,
Footnotes
1. See 12 U.S.C. 5481(12), (14), 5511.
2. See 12 U.S.C. 4301-4313; 12 CFR pt. 1030; CFPB Exam Handbook, at TISA 1, https://files.consumerfinance.gov/f/documents/cfpb_supervision-and-examination-manual.pdf.
3. See 15 U.S.C. 1693-1693r; 12 CFR pt. 1005; CFPB Exam Handbook, at EFTA 1, https://files.consumerfinance.gov/f/documents/cfpb_supervision-and-examination-manual.pdf.
4. See 12 U.S.C. 1831t(b)-(f); 12 CFR pt. 1009.
5. See 12 U.S.C. 5531, 5536; CFPB Exam Handbook, at UDAAP 1, https://files.consumerfinance.gov/f/documents/cfpb_supervision-and-examination-manual.pdf.
6. Additionally, accounts at federally insured credit unions are insured through the
7. See
8. See
9. This Circular does not constitute an interpretation of section 18(a)(4) of the FDI Act, rules adopted thereunder, or the authorities of the
10. Specifically, FDI Act section 18(a)(4)(A) prohibits any person from representing or implying that any deposit liability, obligation, certificate, or share is insured or guaranteed by the
11. 12 U.S.C. 5531, 5536.
12. 12 U.S.C. 5481(5), (6).
13. 12 U.S.C. 5481(15)(A)(iv), (v); see also 12 U.S.C. 5481(8).
14. See, e.g.,
15. See, e.g.,
16. Certain categories of information are presumed to be material. In general, information about the central characteristics of a consumer financial product or service--such as costs, benefits, or restrictions on the use or availability--is presumed to be material. Express claims made with respect to a consumer financial product or service are presumed material. Implied claims are presumed to be material when evidence shows that the institution intended to make the claim (even though intent to deceive is not necessary for deception to exist). Omissions will be presumed to be material when the financial institution knew or should have known that the consumer needed the omitted information to evaluate the product or service. See CFPB Exam Handbook, at UDAAP 7, https://files.consumerfinance.gov/f/documents/cfpb_supervision-and-examination-manual.pdf.
[FR Doc. 2022-12728 Filed 6-13-22;
BILLING CODE 4810-AM-P
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