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Question of the Week

Posted: Oct 20, 2022 | Author: Cornerstone Compliance Team
CFPB  compliance  Reg Z 

Question: Can we change a non-variable rate credit card to a variable rate card?

Answer: Yes, but you have to send a change in terms 45 days before the change. The relevant section is 1026.9(c)(v) of Reg Z, but the commentary described the scenario you mentioned:

Changing from a non-variable rate to a variable rate. If a creditor is changing a rate applicable to a consumer's account from a non-variable rate to a variable rate, the creditor generally must provide a notice as otherwise required under § 1026.9(c) even if the non-variable rate is higher than the variable rate at the time of the change. However, a creditor is not required to provide a notice under § 1026.9(c) if the creditor provides the disclosures required by § 1026.9(c)(2)(v)(B) or (c)(2)(v)(D) in connection with changing a non-variable rate to a lower variable rate. Similarly, a creditor is not required to provide a notice under § 1026.9(c) when changing a non-variable rate to a lower variable rate in order to comply with 50 U.S.C. app. 527 or a similar Federal or state statute or regulation. Finally, a creditor is not required to provide a notice under § 1026.9(c) when changing a non-variable rate to a lower variable rate in order to comply with § 1026.55(b)(4). See comment 55(b)(2)-4 regarding the limitations in § 1026.55(b)(2) on changing the rate that applies to a protected balance from a non-variable rate to a variable rate.

https://www.consumerfinance.gov/rules-policy/regulations/1026/interp-9/#9-c-2-iv-Interp-4

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