Additional Testing of the Validation Notice is a Necessary Part of the CFPB’s Debt Collection Rulemaking
We support the CFPB’s decision to conduct additional testing of the validation notice it has proposed and agree that such research is a necessary part of the Bureau’s debt collection rulemaking. As discussed below, we believe that the utility of the research will depend upon: the criteria used to select individuals to participate in the research; and the scope of...