Akeela White Analyzes in ARM Compliance Digest: CFPB Publishes Plan for Handling Criminal Regulatory Offenses
In The News | 2 min read
Jul 29, 2025
In the July 14, 2025, issue of the ARM Compliance Digest, Hinshaw partner Akeela White reviewed a new policy statement published by the Consumer Financial Protection Bureau (CFPB) that describes how the agency will address criminally liable regulatory offenses.
The policy comes in response to a Presidential Executive Order issued last month. Criminal referrals have been rare in consumer finance law.
Akeela writes:
The CFPB’s new policy statement marks a shift in its approach to criminal enforcement referrals related to violations of consumer financial laws, including the Truth in Lending Act, Real Estate Settlement Procedures Act, Electronic Fund Transfer Act, and the Fair Credit Reporting Act (which imposes criminal penalties for knowingly and willfully obtaining consumer information from a consumer reporting agency under false pretenses, 15 USCS § 1681q).
For the first time, the CFPB has specified the factors it will consider when deciding whether to refer alleged criminal violations to the Department of Justice. These factors include the harm caused, the potential gain to the offender, the individual’s specialized knowledge or licensing, and evidence of the person’s awareness that their conduct was unlawful. Notably, the emphasis on a defendant’s awareness of wrongdoing reflects the broader regulatory philosophy advanced by former Director Rohit Chopra, who, in his 2022 remarks at the University of Pennsylvania on “Reining in Repeat Offenders,” underscored the need for regulators to address corporate recidivism with remedies that go beyond monetary penalties.
Within a year, the CFPB will publish and annually update a list of all criminal regulatory offenses it enforces, including potential penalties and applicable mens rea standards. The Bureau is also reviewing whether to establish a default mens rea standard for all criminal regulatory offenses, which could increase consistency but may create uncertainty during the transition. As the CFPB evaluates whether to move away from strict liability or clarify intent requirements, companies may face ambiguity about which mental state standard applies to specific conduct.
Compliance programs may need to be reassessed once the review is complete. While the policy does not create new legal obligations, it signals a more structured and transparent approach to criminal enforcement. You should monitor upcoming CFPB reports and be ready for changes in how criminal liability is determined and enforced, especially as the Bureau increases its focus on repeat offenders and structural remedies.
Read the full July 14, 2025, edition of the AccountsRecovery.net ARM Compliance Digest.
- “CFPB Publishes Plan for Handling Criminal Regulatory Offenses” was published by ARM Compliance Digest on July 14, 2025.
Related People
Related Capabilities
Related Locations
Featured Insights

Employment Law Observer
Aug 17, 2026
Massachusetts’ First Paid Family Medical Leave Act Verdict Yields $4.75 Million Award

Press Release
Aug 13, 2026
Lauren Campisi Recognized as a 2026 BTI Client Service All-Star by BTI Consulting Group

Consumer Crossroads: Where Financial Services and Litigation Intersect
Aug 13, 2026
How Will Banks Be Impacted by the Proposed Regulation O Amendments?

Press Release
Aug 12, 2026
William Cook Honored With the Distinguished Service Award by the Chicago Bar Association

Webinar
Aug 12, 2026
John Ryan Presents on "Understanding what is Covered Under the TCPA Today"

In The News
Aug 12, 2026
Scott Seaman Analyzes California’s New Pleading Standards for Excess Insurance Policy Claims

Employment Law Observer
Aug 10, 2026
As Leaves Fall, Leave Requests Rise: Are You Compliant With Chicago’s Expanded Rules?

Press Release
Aug 7, 2026
Daniel McGrath Re-Elected Senior Director of the Federation of Defense & Corporate Counsel

Insights for Insurers Alert
Aug 7, 2026
California Supreme Court Clarifies Pleading Standards for Excess Policy Claims




