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Statement on CFPB Director Chopra’s Semi-Annual Report to Congress (6/21/2023)
Statement on the Re-Introduction of the Payment Choice Act (6/16/2023)
Statement in Response to MN Governor Signing Legislation Adopting an Unworkable Interest Rate Cap (6/2/2023)
Statement on the Supreme Court’s Decision to Review the CFPB v. CFSA Case (2/27/2023)
Statement on the CFPB's Claims about ACE Cash Express (7/12/2022)
Statement on the CFPB's Small-Dollar Lending Report (4/6/2022)
Statement on New Mexico’s Restrictive Small-Dollar Lending Legislation (2/16/2022)
INFiN Elects New Board of Directors and Officers (11/2/2021)
INFiN Announces the Recipients of the 2021 StAR and Activa Awards (11/2/2021)
Statement on Postal Service’s New Financial Services Offerings (10/5/2021)
Statement on Rohit Chopra’s Confirmation as CFPB Director (9/30/2021)
Statement on National Interest Rate Cap Proposals (7/29/2021)
Statement on the Payment Choice Act of 2021 (7/9/2021)
Statement on Passage of the CRA Resolution to Repeal OCC’s “True Lender” Rule (6/24/2021)
Morning Consult Op-Ed: Small-Dollar Credit Continues to Evolve. So Should the Policy Discussion. (6/8/2021)
Consumer Financial Services: Separating Fact from Fiction (5/20/2021)
Statement on President Biden’s CFPB Director Nomination (1/20/2021)
Statement on OCC's Proposed Rule to Preserve Fair Access (11/20/2020)
Statement on CFPB’s No-Action Letter to Bank of America Regarding Certain Small-Dollar Loan Products (11/6/2020)
Leading Consumer Financial Services Companies Announce INFiN, A Financial Services Alliance (10/6/2020)
INFiN Comment Letter to the CFPB, Re: Statement on Policy Regarding Prohibition on Abusive Acts or Practices (7/3/23)
INFiN Comment Letter to the CFPB, Re: Registry for Non-Bank Form Contract Terms & Conditions (4/3/23)
INFiN Comment Letter to the CFPB, Re: Nonbank Registration of Certain Agency and Court Orders (3/31/23)
INFiN Comment Letter to the CSBS, Re: NMLS Disclosure Questions (8/22/22)
INFiN Comment Letter to the CFPB, Re: ‘Junk Fees’ (4/11/22)
INFiN Comment Letter to FinCEN, Re: Review of Bank Secrecy Act (2/14/22)
INFiN Comment Letter to Senate Banking Committee, Re: Fee and Interest Rate Cap Legislation (7/26/2021)
INFiN Comment Letter to the OCC, Re: Fair Access to Financial Services (1/4/2021)
INFiN Comment Letter on Payday Loan Disclosures (12/14/2020)
INFiN Comment Letter to FinCEN, Re: Anti-Money Laundering Program Effectiveness (11/16/2020)
FiSCA/CFSA Joint Letter Re: Paycheck Protection Program (4/9/2020)
FiSCA Letter Re: PPP (4/6/2020)
FiSCA Applauds Needed Relief for Hardworking Families in CFPB Small Dollar Loan Rule (7/7/2020)
FiSCA Op-Ed Featured in Morning Consult (4/3/2020)
FiSCA/CFSA Joint Statement Re: COVID-19 (3/19/2020)
FiSCA Press Release on CFPB's Reconsideration of the Small-Dollar Loan Rule (2/6/2019)
INFiN serves as the financial service center industry's leading voice on issues that affect its members.