Skip to content

Menu

LexBlog, Inc. logo
CommunitySub-MenuPublishersChannelsProductsSub-MenuBlog ProBlog PlusBlog PremierMicrositeSyndication PortalsAboutContactResourcesSubscribeSupport
Join
Search
Close

State Attorney General Calls on CFPB to Heed Fifth Circuit’s Ruling in Community Financial Services Association of America

Consumer Financial Protection Bureau_1200x600_0008_GettyImages-157582524
By Clayton Friedman, James Kim, Stephen C. Piepgrass, Chris Willis, Ketan Bhirud & Chris Carlson on October 27, 2022
Email this postTweet this postLike this postShare this post on LinkedIn

In response to the Fifth Circuit’s ruling in Community Financial Services Association of America, Ltd. v. Consumer Financial Protection Bureau (CFSA) that the Consumer Financial Protection Bureau’s (CFPB) funding mechanism is unconstitutional, West Virginia Attorney General Patrick Morrisey sent a letter on October 24th to the CFPB, calling its continued operations into question and foreshadowing potential state challenges to its actions. While some state AGs and financial regulators are likely to help offset any reduction in CFPB activity through their own investigations and coordination with the CFPB, the dark cloud of the CFSA opinion hangs over the agency.

In his letter to CFPB Director Rohit Chopra, Attorney General Morrisey highlighted the Fifth Circuit’s holding that the CFPB’s “independent funding mechanism … is unconstitutional” and questioned Director Rohit’s “business as usual” response to the court’s decision. He also reminded Director Chopra that the CFPB must discharge its responsibilities in a “constitutionally permissible way,” which, according to Attorney General Morrisey, the “CFPB plainly cannot do” without congressional appropriations. Attorney General Morrisey ends by asking the CFPB to detail its own perception of the effect of its regulations and to state how the Fifth Circuit’s decision affects the CFPB’s past enforcement actions.

Until the challenge posed to the CFPB by CFSA is resolved, it is likely that state attorneys general will look to fill at least some of the perceived regulatory vacuum like they did when the U.S. Supreme Court curtailed the Federal Trade Commission’s ability to seek monetary relief in AMG Capital Management LLC v. Federal Trade Commission. The CFPB’s own interpretative rulings that emphasize state attorneys general’s concurrent and independent authority to pursue actions under the federal Consumer Financial Protection Act in 2010 should strengthen the hands of attorneys general in this effort. This independent authority remains viable and unobstructed by CFSA.

We note that West Virginia successfully challenged the Environmental Protection Agency’s power to regulate carbon emissions from existing power plants in the U.S. Supreme Court, resulting in the landmark West Virginia v. EPA decision. It remains to be seen whether West Virginia or other states will challenge any CFPB actions, especially rules and regulatory guidance that may broadly impact the consumer finance space.

Troutman Pepper will continue to monitor this case—and all related activity—to provide our latest insights. In case you missed Troutman Pepper attorneys Misha Tesytlin and Chris Willis reacting to the Fifth Circuit’s decision, you can listen to their commentary here.

Photo of Clayton Friedman Clayton Friedman

Clayton is a partner in the firm’s Regulatory Investigations, Strategy + Enforcement (RISE) Practice Group, a multidisciplinary team with decades of experience crafting effective strategies to help deter or mitigate the risk of enforcement actions and litigation.

Read more about Clayton FriedmanEmail
Photo of James Kim James Kim

As a former senior enforcement attorney with the CFPB, James provides the industry knowledge and expertise that fintechs and financial institutions require when launching new products or facing regulatory scrutiny.

Read more about James KimEmailJames's Linkedin Profile
Photo of Stephen C. Piepgrass Stephen C. Piepgrass

Stephen represents clients interacting with, and being investigated by, state attorneys general and other enforcement bodies, including the CFPB and FTC, as well as clients involved with litigation, particularly in heavily regulated industries.

Read more about Stephen C. PiepgrassEmailStephen C.'s Linkedin Profile
Photo of Chris Willis Chris Willis

Chris is the co-leader of the Consumer Financial Services Regulatory practice at the firm. He advises financial services institutions facing state and federal government investigations and examinations, counseling them on compliance issues including UDAP/UDAAP, credit reporting, debt collection, and fair lending, and defending…

Chris is the co-leader of the Consumer Financial Services Regulatory practice at the firm. He advises financial services institutions facing state and federal government investigations and examinations, counseling them on compliance issues including UDAP/UDAAP, credit reporting, debt collection, and fair lending, and defending them in individual and class action lawsuits brought by consumers and enforcement actions brought by government agencies.

Read more about Chris WillisEmailChris's Linkedin Profile
Show more Show less
Photo of Ketan Bhirud Ketan Bhirud

As a former government official at the state and federal level, Ketan leverages extensive experience in the public and private sectors to skillfully represent client interests.

Read more about Ketan BhirudEmailKetan's Linkedin Profile
Photo of Chris Carlson Chris Carlson

Chris Carlson represents clients in regulatory, civil and criminal investigations and litigation. In his practice, Chris regularly employs his prior regulatory experience to benefit clients who are interacting with and being investigated by state attorneys general.

Read more about Chris CarlsonEmailChris's Linkedin Profile
  • Posted in:
    Civil Litigation, Corporate Compliance
  • Blog:
    Regulatory Oversight
  • Organization:
    Troutman Pepper Hamilton Sanders LLP
  • Article: View Original Source

LexBlog, Inc. logo
Facebook LinkedIn Twitter RSS
Real Lawyers
99 Park Row
  • About LexBlog
  • Careers
  • Press
  • Contact LexBlog
  • Privacy Policy
  • Editorial Policy
  • Disclaimer
  • Terms of Service
  • RSS Terms of Service
  • Products
  • Blog Pro
  • Blog Plus
  • Blog Premier
  • Microsite
  • Syndication Portals
  • LexBlog Community
  • 1-800-913-0988
  • Submit a Request
  • Support Center
  • System Status
  • Resource Center

New to the Network

  • Internet, IT & e-Discovery
  • P3 For Texas
  • DSE Advisors
  • Innocelf Knowledge
  • Labor & Employment Blog
Copyright © 2023, LexBlog, Inc. All Rights Reserved.
Law blog design & platform by LexBlog LexBlog Logo