It’s no secret that 2025 turned the federal regulatory ecosystem on its head. The Consumer Financial Protection Bureau was significantly downsized and almost neutered. The Federal Trade Commission’s leadership and composition were changed, as were its focus and enforcement priorities.
This upheaval has, for the most part, given the auto finance industry a breather from federal enforcement of federal consumer protection laws. State enforcement is another matter, but let’s set that aside for now.
Keep in mind that the federal laws haven’t gone away; they are still there. It’s just that we have a pronounced pause in the federal government enforcing them. So, what’s a company to do? Throw caution to the wind and do whatever is necessary to make money? If that’s your instinct, rethink that option. Instead, be smart and take advantage of this time.
If there’s anything we know for sure it’s that nothing ever stays the same. That couldn’t be more true than with the White House and who (or what party) is in charge. We may have two plus years left of this regulatory pause—that’s not a whole lot of time, especially as it relates to the longevity of your business. In fact, in the legal and compliance arena, it’s just about the right amount of time to implement a robust compliance infrastructure. So, why not take this break in enforcement to do that? And if you already have a compliance program in place, why not take this opportunity to reassess whether it’s sufficiently robust? You could use this time to have it tested by a compliance attorney, consultant, or another third party and then retool it according to the findings.
This pause is a gift of time—time to get your compliance house in order and make sure that what you “think” you have in place is actually compliant. Here are some things you should do:
Now, on to a list of specific topics your organization should be thinking about when it comes to compliance:
I could go on and on.
Given the whiplash we felt from 2024 to 2025, if a Democrat takes over the White House in 2029, we may feel an equally explosive whiplash back to robust enforcement. I expect any new administration will have a goal of gaining back lost ground, but if you take the time now to get your organization’s compliance house in order, you will be ready.
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