Research and Markets: Murphy's Law and the CFPB: The Proposed Prepaid Rule Won't Protect Anyone

DUBLIN--()--Research and Markets (http://www.researchandmarkets.com/research/lb2hfh/murphys_law_and) has announced the addition of the "Murphy's Law and the CFPB: The Proposed Prepaid Rule Won't Protect Anyone" report to their offering.

The latest research report, titled Murphy's Law and the CFPB: The Proposed Prepaid Rule Won't Protect Anyone, identifies several areas of concern for prepaid providers and cardholders. Because of the breadth and depth of the prepaid regulations, the report highlights certain provisions likely to cause confusion or have other negative consequences, including unintended consequences that ultimately would harm consumers by making a convenient financial tool less available and making the surviving products more confusing.

The intention of this report is to give prepaid providers starting points for their own analysis of how the rules might affect their cardholders and businesses. This report encourages providers of prepaid cards, and their partners and cardholders, to comment on the rules by the March 23 deadline. It suggests strategies for crafting comments, and offers suggestions in the text on how the rules should be adjusted.

Highlights of the report include:

- The Consumer Financial Protection Bureau (CFPB) has released a proposed prepaid rule two years after an advance notice of rulemaking and has asked the payments industry to respond in 90 days.

- The 869-page rule is nearly three times as long as the rules that implemented Durbin Amendment to the Dodd-Frank Wall Street Reform and Consumer Protection Act and is loaded with unintended consequences.

- The rule would lead to less access and more confusion for prepaid customers, thus harming the consumers it is designed to protect.

-The rule also would pull new types of payments companies under the prepaid umbrella and lead to further confusion and frustration among consumers.

- Prepaid providers should comment on the rules to address how individual provisions will harm their cardholders and propose alternative rules.

Key Topics Covered:

1. Executive Summary

2. Introduction

- 2012: It Begins

- 2014: Whatever Can Go Wrong, Will

3. Bottom Trawling Financial Services

- Gift Cards Get a Pass

- What Does This All Mean?

4. Disclosures: Confusing Cardholders in an Attempt at Simplicity

- Disclosure Approach

- FDIC Insurance 12

- Payroll and Benefits Cards

- Disclosure Formats

5. Overdrafts: CFPB Says Prepaid Card Holders Shouldn't Have Checking Account-like Features

6. Collecting Cardholder Agreements: Showing People What They Can't Have

7. Conclusion: Tell the CFPB What Problems Your Cardholders Might Face

- Endnotes

For more information visit http://www.researchandmarkets.com/research/lb2hfh/murphys_law_and

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press@researchandmarkets.com
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Sector: Banking and Financial Services

Contacts

Research and Markets
Laura Wood, Senior Manager
press@researchandmarkets.com
For E.S.T Office Hours Call 1-917-300-0470
For U.S./CAN Toll Free Call 1-800-526-8630
For GMT Office Hours Call +353-1-416-8900
U.S. Fax: 646-607-1907
Fax (outside U.S.): +353-1-481-1716
Sector: Banking and Financial Services