ARTICLE
5 November 2014

Repeal Of Regulation AA

MF
Morrison & Foerster LLP

Contributor

Known for providing cutting-edge legal advice on matters that are redefining industries, Morrison & Foerster has 17 offices located in the United States, Asia, and Europe. Our clients include Fortune 100 companies, leading tech and life sciences companies, and some of the largest financial institutions. We also represent investment funds and startups.
The Federal Reserve Board issued a proposal to repeal Regulation AA, which is the Board’s rule prohibiting certain unfair or deceptive acts and practices, including certain credit practices.
United States Consumer Protection

The Federal Reserve Board (Board) issued a proposal to repeal Regulation AA, which is the Board's rule prohibiting certain unfair or deceptive acts and practices (UDAP), including certain credit practices. Among other things, Regulation AA regulates certain provisions and remedies in consumer credit contracts, requires certain disclosures with respect to cosigner's obligations and liabilities, and prohibits the pyramiding of late fees.

The Board's proposal to repeal Regulation AA, however, is largely a matter of regulatory housekeeping. Simultaneous with the Board's proposal, the Board and the other federal banking agencies issued joint interagency guidance, which clarifies that the repeal of Regulation AA does not mean that creditors are permitted to engage in conduct prohibited by Regulation AA, as the agencies still intend to enforce the prohibition on UDAP, independent of whether such acts or practices are specifically identified by regulation. In this regard, the repeal of Regulation AA may actually broaden the agencies' views on the types of credit practices that could represent UDAP. For additional information, see our client alert on this topic.

Because of the generality of this update, the information provided herein may not be applicable in all situations and should not be acted upon without specific legal advice based on particular situations.

© Morrison & Foerster LLP. All rights reserved

Mondaq uses cookies on this website. By using our website you agree to our use of cookies as set out in our Privacy Policy.

Learn More