Richard Cordray, the Director of the Consumer Financial Protection Bureau (“CFPB”), announced today that he plans to step down from that post by the end of the month. Cordray’s term was otherwise set to expire in July of 2018.

Cordray, who was appointed by the Obama Administration after the CFPB was created in 2011, issued his announcement in an e-mail to CFPB staff. “Together, we have made a real and lasting difference that has improved people’s lives,” Cordray said in the e-mail. “I trust that new leadership will see that value also and work to preserve it – perhaps in different ways than before, but desiring, as I have done, to serve in ways that benefit and strengthen our economy and our country.”

Cordray’s resignation paves the way for the Trump Administration to install its own director, whose vision for the CFPB likely will differ significantly from Cordray’s.

Republican leaders cheered Cordray’s departure, with House Financial Services Chairman Jeb Hensarling, a Texas Republican, saying: “We are long overdue for new leadership at the CFPB, a rogue agency that has done more to hurt consumers than help them. The extreme overregulation it imposes on our economy leads to higher costs and less access to financial products and services, particularly for Americans with lower and middle incomes.”

Although Cordray’s e-mail did not provide a reason for his departure, pundits have speculated that Cordray’s resignation was triggered by a plan to run for governor of his home state of Ohio.

If Cordray’s departure results in a pull-back by the CFPB in its regulatory activities, this may prompt the acceleration of efforts by other regulators, including State Attorneys General (as reported here), to fill in the perceived regulatory gap.

We will continue to monitor the situation at the CFPB as it develops.

Photo of Cindy D. Hanson Cindy D. Hanson

Consumer finance clients trust Cindy’s experience and skill to resolve their most challenging cases. Focused on class action defense, Cindy has handled numerous FCRA cases and is the point of contact for consumer protection defense.

Photo of David N. Anthony David N. Anthony

David Anthony handles litigation against consumer financial services businesses and other highly regulated companies across the United States. He is a strategic thinker who balances his extensive litigation experience with practical business advice to solve companies’ hardest problems.

Photo of Stephen C. Piepgrass Stephen C. Piepgrass

Stephen leads the firm’s Regulatory Investigations, Strategy + Enforcement (RISE) Practice Group. He focuses his practice on enforcement actions, investigations, and litigation. Stephen primarily represents clients engaging with, or being investigated by, state attorneys general and other state or local governmental enforcement bodies,

Stephen leads the firm’s Regulatory Investigations, Strategy + Enforcement (RISE) Practice Group. He focuses his practice on enforcement actions, investigations, and litigation. Stephen primarily represents clients engaging with, or being investigated by, state attorneys general and other state or local governmental enforcement bodies, including the CFPB and FTC, as well as clients involved with litigation, with a particular focus on heavily regulated industries. He also has experience advising clients on data and privacy issues, including handling complex investigations into data incidents by state attorneys general other state and federal regulators. Additionally, Stephen provides strategic counsel to Troutman Pepper’s Strategies clients who need assistance with public policy, advocacy, and government relations strategies.