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portada Study of Prepaid Account Agreements
Type
Physical Book
Language
Inglés
Pages
30
Format
Paperback
Dimensions
28.0 x 21.6 x 0.2 cm
Weight
0.10 kg.
ISBN13
9781507620663

Study of Prepaid Account Agreements

Consumer Financial Protection Bureau (Author) · Createspace Independent Publishing Platform · Paperback

Study of Prepaid Account Agreements - Consumer Financial Protection Bureau

Physical Book

£ 17.10

  • Condition: New
Origin: U.S.A. (Import costs included in the price)
It will be shipped from our warehouse between Tuesday, August 13 and Tuesday, August 20.
You will receive it anywhere in United Kingdom between 1 and 3 business days after shipment.

Synopsis "Study of Prepaid Account Agreements"

In order to better understand the features and consumer protections currently provided byprepaid products, the Bureau conducted a study (the Study) of publicly available accountagreements for prepaid products. The prepaid products included in the Study all appeared tomeet the proposed definition of the term prepaid account in its proposed rule governing prepaidaccounts under the Electronic Fund Transfer Act (Regulation E) and the Truth in Lending Act(Regulation Z), published concurrently herewith. Specifically, the Bureau sought to determinecurrent industry practices in a number of areas to inform the Bureau's understanding of thepotential benefits and costs of extending various Regulation E provisions to prepaid accounts. Inconducting the Study, Bureau staff examined certain key provisions in the account agreementsof prepaid cards and other similar prepaid programs currently available to consumers andcompared those terms against the protections that would be required by the proposal.The Study covers 325 account agreements for prepaid programs that, Bureau staff believes, could be subject to the definition of prepaid account in the Bureau's proposed rule. This Studyexamines key provisions regarding error resolution protections (including provisional credit); limited liability protections; access to account information; overdraft services and negative balance fees; Federal Deposit Insurance Corporation (FDIC) or National Credit Union ShareInsurance Fund (NCUSIF) pass-through deposit or share insurance; and general disclosure of fee information. The proposed rule explains in detail the issues related to these various provisions

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