I note that the notice does not describe the extent to which the CFPB may enforce the FTC's
Telemarketing Sales Rule. However, with respect to 12 CFR Part 334 (Fair Credit Reporting),
the exceptions are spelled out fairly clearly. Why wasn't the same approach taken with
respect to the Telemarketing Sales Rule?
Comment from David Waller
This is comment on Rule
Identification of Enforceable Rules and Orders
View Comment
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