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New Version of Model Fair Credit Reporting Act Summary of Rights Released; employers must comply by September 21, 2018

09/01/18

Author: Jody Rodney/Wednesday, September 19, 2018/Categories: Compliance Corner

Overview: A new model “A Summary of Your Rights Under the Fair Credit Reporting Act” disclosure form document was released on September 12, 2018, by the Consumer Financial Protection Bureau (CFPB). An updated Summary of Consumer Rights model notice is available here. Employers and background check companies should begin using the new form by September 21, 2018. An updated Summary of Consumer Rights in Spanish is available here.

Effective Date: September 21, 2018

Details:

Background:
A new model “A Summary of Your Rights Under the Fair Credit Reporting Act” disclosure form document was released on September 12, 2018, by the CFPB. Employers and background check companies should begin using the new form by September 21, 2018.The federal agency responsible for oversight and drafting the model forms required under the Fair Credit Reporting Act (FCRA) issued the revised form in an interim final rule on September 12, 2018.

Employers and background check companies are required to provide the disclosure form to employees and job applicants at certain times under the FCRA. A failure to provide the correct notification can lead to significant exposure, including class action litigation.

Why the Change?
In May 2018, responding to several, high-profile data breaches, Congress passed the Economic Growth, Regulatory Relief, and Consumer Protection Act. The new law requires credit reporting bureaus, under certain circumstances, to provide consumers fraud alerts and unlimited, free national security freezes and freeze releases. These are intended to make it harder for identity thieves to open accounts in a consumer’s name. The new legislation also amends the FCRA to exclude from consumer reporting information certain medical debts incurred by veterans. Additionally, it establishes a new dispute process with respect to such medical debt.

Finally, the new law mandates that whenever an employer or background check company is required to provide a copy of the “A Summary of Your Rights Under the Fair Credit Reporting Act” or the “Summary of Consumer Identity Theft Rights” disclosure form, they also must provide a notice regarding these new security freeze rights.

The interim final rule updates the CFPB’s model form (last revised in 2012) and incorporates the new required notices. According the CFPB, the interim rule provides that businesses can use the new model disclosure or a combination of the 2012 disclosure forms along with a summary of the security freeze rights, “so long as a separate page that contains the additional required information is provided in the same transmittal.”

Call to Action: Beginning September 21, 2018, employers that conduct background checks should ensure that the required information is provided.

Please contact your Service Team or Relationship Manager with any questions.

Produced in partnership with Jackson Lewis, P.C.

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