Workplace for the Executive Secretary
Customer Financial Protection Bureau
1700 G Street, NW.
Washington, DC 20552
Docket No. CFPB-2016-0025
We, the undersigned Jewish companies, distribute this comment in strong help regarding the customer Financial Protection BureauвЂ™s proposed rule managing payday and car name loans. We also urge the CFPB to bolster this guideline by producing clear item security criteria for payday advances and getting rid of the other staying loopholes which make it easy for loan providers to lead their clients into unsustainable cycles of financial obligation. Jewish tradition inspires us to speak with this problem, also to assist develop a culture where financing can be used as a step toward possibility, as opposed to as a stumbling block.Seguir leyendo