RELEASE: CAP Issues Recommendations to Enhance Consumer Protections Under Credit Card Reform
Contact: Katie Peters
Washington, D.C. — In 2009, President Barack Obama signed into law the Credit Card Accountability, Responsibility, and Disclosure Act, or Credit CARD Act, creating a clearer, fairer, and more competitive marketplace for consumers while reining in many of the credit card industry’s most abusive practices. Today, five years after the act was signed into law, a new Center for American Progress report highlights the accomplishments of the Credit CARD Act and provides additional provisions that would better protect consumers.
Among other provisions, the Credit CARD Act laid out significant consumer protections that stopped arbitrary interest rate increases, gave consumers new transparency to better manage their accounts, removed credit cards from college campuses, and provided consistency to store gift cards. Altogether, the reforms implemented under the Credit CARD Act have saved consumers an estimated $12.6 billion in fees annually since the law’s passage.
“The Credit CARD Act put an end to many of the worst credit card industry practices,” said Joe Valenti, Director of Asset Building at the Center for American Progress. “Today, consumers have clearer choices, and they don’t have to worry about credit card companies changing the rules of the game after they have made a purchase.”
However, despite these advances, regulatory gaps remain. Provisions in the act did not anticipate the significant growth in prepaid cards over the past five years. Furthermore, college campuses have seen high-cost debit cards that erode the value of students’ money take the place of credit cards as a predatory financial instrument. Additionally, the act’s transparency provisions are often out of reach for consumers who use online and mobile tools, and consumers are not always able to view credit scores for free. Finally, for some consumers, their credit records can prevent them from getting a job.
In order to address these issues, the Center for American Progress issued the following recommendations for regulator and policymakers to help protect millions of consumers:
- Mandate greater prepaid transparency and regulation. Prepaid credit cards—which have grown significantly in recent years—are not subject to the same extensive consumer protections as credit cards and gift cards under the Credit CARD Act. To close this regulatory gap, prepaid cards should have standardized disclosures and comparable consumer protections to bank accounts.
- Crack down on college debit cards. Removing excessive credit card marketing from college campuses has helped reduce college students’ financial vulnerability, but college debit cards are a new concern. Both the Department of Education and colleges and universities should play a role in ensuring that students do not fall victim to high-cost cards just to access their student aid dollars.
- Offer printed statement tools online. As part of its growing focus on product disclosures, the Consumer Financial Protection Bureau should examine the relationship between paper, online, and mobile disclosure forms, ensuring that financial tools exist across these platforms.
- Provide free access to credit scores. Credit score reporting should be mandatory for credit cards to provide all consumers with additional information to examine credit offers and make informed decisions.
- Limit the credit employment connection. Ten states currently limit the use of credit checks for employment purposes except for certain categories of jobs where credit reports are directly relevant. Congress and the remaining state legislatures should follow suit.
Read the report: Protecting Consumers Five Years After Credit Card Reform by Joe Valenti
- Financial Access in a Brave New Baking World by Joe Valenti and Deirdre Heiss
- The End of Cash: The Rise of Prepaid Cards, Their Potential, and Their Pitfalls by Joe Valenti
- It’s Time to Regulate Prepaid Cards as Bank Accounts by Gadi Dechter and Joe Valenti
For more information or to speak with an expert on this topic, contact Katie Peters at email@example.com or 202.741.6285.
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