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Financial Services Law Insights and Observations

District Court rules FCRA allegation filed before expiration of 30-day investigation period is not ripe

Courts FCRA Dispute Resolution Consumer Reporting Agency Consumer Finance Credit Report

Courts

On October 14, the U.S. District Court for the District of South Carolina adopted a magistrate judge’s report and recommendation to grant summary judgment in favor of a defendant accused of violating the FCRA. According to the plaintiff’s amended complaint, the plaintiff opened a loan with the defendant and later entered into a modified agreement that reduced his monthly payments and the future projected balance. He later noticed that his credit report showed (i) the reported balance for his account to be higher than it should have been under the terms of the modified agreement, and (ii) three months of late payments. The plaintiff filed a dispute with the credit reporting agency (CRA) arguing, among other things, that the balance was being misstated. The plaintiff filed another dispute with the CRA regarding the late payments. Plaintiff filed the instant action before the end of the 30-day investigation period for disputes regarding the late payments. The magistrate judge recommended summary judgment be granted to defendant related to claims alleging violation of Section1681s-2b for both (i) the claim predicated on the restated balance, and (ii) the claim predicted on the late payments, but for different reasons. The “late payment” claim “was not ripe when the action was filed” because the 30-day investigation period had not yet expired when the plaintiff filed his amended complaint. For the “restated balance” claim, the magistrate judge’s report found that the parties had a genuine legal dispute over their interpretations of the modified agreement—whether the balance due should be reduced at the time of the modification agreement or at the end of the modification term, which was not a factual inaccuracy: “the Report found violations of 15 U.S.C. 1681a-2(b) must be based on factual inaccuracies, not legal disputes, and as Plaintiff bases his claim on a legal dispute, he cannot prevail on his FCRA claim.”  This district court agreed noting that the plaintiff did not appear to object to the legal determination that “as a matter of a law a violation of a §1681s-2(b) could not be based on a legal dispute over the terms of a contract[.]” The report also noted that the plaintiff failed to demonstrate that he is entitled to actual damages—a requirement for a negligent violation of the FCRA—nor did he show that the defendant willfully violated the FCRA in order to be entitled to statutory or punitive damages. The district court agreed with the report and recommendations and dismissed the case with prejudice.