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December 2017

The Consumer Credit


Card Market
Table of contents
Table of contents......................................................................................................... 2

Executive summary..................................................................................................... 5

1. Introduction ......................................................................................................... 16
1.1 Review mandate ...................................................................................... 16
1.2 Scope ........................................................................................................17
1.3 Methodology ........................................................................................... 18

2. Market size and foundational metrics of consumer use ................................. 30


2.1 Total market size ..................................................................................... 31
2.2 Market metrics by credit score ............................................................... 39
2.3 Consumer-level metrics of market size .................................................. 45
2.4 Card payment behavior........................................................................... 54
2.5 Rewards ................................................................................................... 59
2.6 Delinquency and charge-off .................................................................... 65

3. Cost of credit....................................................................................................... 71
3.1 Total cost of credit .................................................................................. 72
3.2 Interest rates ........................................................................................... 77
3.3 Fees . ....................................................................................................... 87
3.4 Cash advances ......................................................................................... 97

2 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


3.5 Deferred interest promotions ................................................................101

4. Availability of credit.......................................................................................... 111


4.1 New accounts ......................................................................................... 112
4.2 Credit lines ............................................................................................ 143

5. Credit card issuer practices ............................................................................ 163


5.1 Digital account servicing....................................................................... 163
5.2 Credit score access .................................................................................174
5.3 Balance transfers.................................................................................... 177
5.4 How complicated are credit cards? ...................................................... 195

6. Products marketed to “non-prime borrowers” .............................................. 205


6.1 Consumers without prime credit scores ............................................... 205
6.2 Unsecured general purpose cards offered by mass market issuers ..... 207
6.3 Products offered by subprime specialists .............................................208
6.4 Private label credit cards ...................................................................... 210
6.5 Secured credit cards .............................................................................. 213
6.6 Consumer use of these products ........................................................... 234

7. Third-party comparison sites .......................................................................... 265


7.1 Introduction .......................................................................................... 265
7.2 Product and market overview ............................................................... 267
7.3 Consumer experience ........................................................................... 277
7.4 Behind the scenes ................................................................................. 292
7.5 Future developments ........................................................................... 300

8. Credit card debt collection .............................................................................. 301


8.1 Definitions............................................................................................. 302

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8.2 Debt collection markets ........................................................................ 303
8.3 Debt collection and recovery practices .................................................308
8.4 Survey findings ..................................................................................... 312

9. Product innovation ........................................................................................... 334


9.1 Innovations discussed above ................................................................ 335
9.2 Topics from the 2015 Report ................................................................ 335
9.3 Other developments .............................................................................. 347

Appendix: Balance transfer payoff methodology................................................. 351

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Executive summary
Every year, consumers use hundreds of millions of credit cards to spend trillions of dollars and
revolve hundreds of billions of dollars of debt. Credit card issuers, payment card networks, and
other market players spend billions of dollars annually to promote their brands and attract new
customers. In 2017, Forbes magazine included three of the four largest American payment card
networks, as well as a number of the largest credit card-issuing banks, in their list of the 100
most valuable brands in the world.1

In 2015, we wrote that “[t]he credit card marketplace is among the largest, most diverse, and
most complex markets of any consumer financial product.”2 Over the last two years, that
statement has become even more appropriate. The market has grown in size, in the number of
its offerings and participants, and in the scope and features of its products. These trends
accentuate the importance of monitoring marketplace developments, as the Bureau has been
instructed by Congress to do on a biennial basis.

Below, we discuss the background for this report. We then summarize the key findings of the
report. We conclude with a note about consumer satisfaction and issuer profitability.

1 See Forbes, The World’s Most Valuable Brands, (2017 Ranking), available at https://www.forbes.com/powerful-
brands/list.

2 Consumer Fin. Prot. Bureau, The Consumer Credit Card Market, at 7 (Dec. 2015) (“2015 Report”), available at
http://files.consumerfinance.gov/f/201512_cfpb_report-the-consumer-credit-card-market.pdf.

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BACKGROUND
In 2009, Congress passed the Credit Card Accountability Responsibility and Disclosure Act
(“CARD Act” or simply “Act”).3 The CARD Act superseded a number of earlier regulations that
had been finalized by three large Federal financial regulators but had yet to be implemented.4
The Act entailed substantial changes for the credit card market. New disclosures and
underwriting standards were mandated, certain fees were curbed, and interest rate increases on
existing balances were restricted.

Among the CARD Act’s many provisions was a requirement that the Board of Governors of the
Federal Reserve System (“Board”) report every two years on the state of the consumer credit
card market. With the passage of the Dodd-Frank Wall Street Reform and Consumer Protection
Act in 2010, that requirement passed to the Consumer Financial Protection Bureau (“Bureau” or
“CFPB”) alongside broader responsibility for administering most of the CARD Act’s provisions.
This is the third report published pursuant to that obligation, building on prior reports
published by the Bureau in 2013 and 2015.5

Our 2013 Report focused on trends in the credit card marketplace before and after the CARD
Act. Because the implementation of the Act coincided with a period of economic recovery, it was
difficult to tease out the effects of the CARD Act. We did not see any evidence that the Act had
negatively affected the consumer cost of credit cards. In fact, we found that all-in costs to
cardholders had fallen in the wake of the Act’s passage and continued to fall through its

3 Pub. L. No. 111-24, 123 Stat. 1734.

4 Those rules, promulgated jointly by the Office of Thrift Supervision (“OTS”), the National Credit Union
Administration (“NCUA”), and the Board of Governors of the Federal Reserve System, were announced in
December of 2008 and published in the Federal Register the following month. Unfair or Deceptive Acts or Practices,
74 Fed. Reg. 5498 (Jan. 29, 2009) (to be codified at 12 C.F.R. part 226).

5 See Consumer Fin. Prot. Bureau, Card Act Report, (Oct. 1, 2013) (“2013 Report”), available at http://files.‌‌
consumerfinance.gov/f/201309_cfpb_card-act-report.pdf. The Bureau also held a conference in 2011 in which
numerous market stakeholders contributed information and perspective on developments in the credit card market.
See Press Release, Consumer Fin. Prot. Bureau, CFPB Launches Public Inquiry on the Impact of the Card Act (Dec.
19, 2012), available at https://www.consumerfinance.gov/about-us/newsroom/consumer-financial-protection-
bureau-launches-public-inquiry-on-the-impact-of-the-card-act.

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implementation.6 We also noted that the CARD Act increased transparency in the consumer
credit card market, principally by simplifying the cost structure of card products. With certain
exceptions, we also did not find evidence that the CARD Act had reduced access to credit.7

Our 2015 Report had a broader scope. We continued to assess post-CARD Act trends, generally
corroborating the findings of our 2013 Report and finding that most of the market trends we
identified in 2013 had persisted over the two-year interval between reports. We also laid out a
broader set of market indicators, establishing potential baselines against which to measure the
evolution of the market in future reports. In addition, we did a number of “deep dives” into
certain issuer practices in the market—namely, deferred interest promotions, rewards credit
cards, and debt collection.

OUR 2017 REPORT


This report continues the approach of our 2015 Report. We revisit most of our baseline
indicators to track key market developments and trends. We also revisit some of the 2015 deep-
dive topics to assess how the market has developed. We do two new deep dives. The first looks at
various indicators for a range of credit card products marketed to and used by consumers who
lack prime credit scores. The second covers rapidly emerging “third-party comparison websites”
as they implicate the credit card market.

Below we summarize the findings of each section of the report. Overall, we note the following
core points:

 The cost of card credit remains largely stable since our last report. This is true in general and
across credit score tiers. Cost structures—the allocation of costs to interest charges and
fees—are also unchanged;

6 See 2013 Report, at 32-35.

7 See id. at 60-61. We did identify a number of restrictions on availability—such as card originations to students, or
ability-to-pay restrictions on origination and credit line increases—that appeared to be intended results of the
CARD Act. See id. at 43-44, 60-61.

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 Most measures of credit card availability—overall and across credit score tiers—have
remained stable or have increased since our last report;

 The market shows significant innovation. Rewards programs of all kinds proliferate, new
digital account servicing tools help consumers manage purchases, debt, and account
security, and new providers are entering this and adjacent markets with new products that
compete with incumbents;

 After falling to historical lows in the years following the recession, delinquency and charge-
off rates have increased over the last year. This uptick in delinquency and charge-off rates
remains small, but is occurring in the absence of any concurrent deterioration in broader
economic conditions;

 Total outstanding credit card debt has continued to grow since our last report and is now at
pre-recession levels. Throughout the post-recession period, including the period since our
last report, purchase volume has grown faster than outstandings;

 The portion of the market that serves consumers with non-prime credit scores continues to
evolve. Three trends in particular stand out:

 A long-term trend that remains evident in recent data is the increasing importance of
private label credit cards to consumers with non-prime credit scores. These consumers
have always found private label credit more accessible than other credit card products,
but consumers with non-prime scores now hold far more of their outstanding balances
on private label cards than they did before the recession;

 A more recent trend is that issuers, consumers, and market observers have all intensified
their interest in secured credit cards. Secured credit cards’ market share, while still small,
is growing;

 There are indications that issuers may be putting increasing weight on credit line
management as a risk control mechanism. Issuers have always used this tool, but appear
to be using it now with increasing intensity and frequency;

 Overall, issuers have lowered their daily limits on debt collection phone calls for delinquent
credit card accounts since our last report. The majority of issuers now supplement their
internal collections strategy with email use, but their third-party collection networks
typically do not send emails; and

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 More and more consumers are engaging with financial products, including credit cards,
through digital portals on their computers and mobile devices. Large numbers of consumers
now shop for, originate, and service credit card accounts digitally.

MARKET SIZE AND FOUNDATIONAL METRICS OF CONSUMER USE


The credit card market is one of the United States’ largest consumer financial markets. It
continues to grow by most measures. The total amount of outstanding consumer credit card
debt is now at pre-recession levels, while the total amount of credit line available and the total
number of accounts are below pre-recession peaks. The total amount spent on credit cards, by
contrast, has moved past previous highs and, according to industry projections, shows no sign of
slowing down. The increasing gap between credit card spending and credit card indebtedness
becomes even clearer if we compare changes in these indicators to changes in the nation’s gross
domestic product (“GDP”). Total credit card indebtedness and total available card credit have
been stable relative to GDP for a number of years now, but at levels lower than we observe pre-
recession. Purchase volume, however, continues to grow significantly faster than overall
economic activity.

Consumers with higher credit scores continue to account for the majority of credit card debt and
spending. However, in the last few years, the share of consumers with lower scores holding
credit cards has been growing at a rate that exceeds that for consumers with higher scores.
Cardholders with lower scores have also increased the average number of credit cards they hold.
These cardholders have seen steeper increases in both aggregate and average outstandings over
the last few years than cardholders with higher scores, although all credit tiers have seen some
growth in these indicators over the last few years. Aggregate credit card indebtedness for
consumers with lower scores, however, remains below 2008 peaks. We also look at evidence
around rewards penetration and usage, as well as revolving rates and payment rates.

Rates of credit card delinquency and charge-off have declined sharply since their peak during
the recession, and remain lower than they were in the years prior to the recession. However, we
note slight increases recently in both indicators.

COST OF CREDIT
The cost of card credit to consumers remains stable—with one significant exception noted
below. It also generally remains lower compared to the period prior to the implementation of
CARD Act rules. The CARD Act’s effect on the structure of card costs also persists, with interest

9 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


charges representing the bulk of all-in costs to consumers across most products and credit score
tiers. For consumers with the highest credit scores, annual fees are strongly associated with the
presence of a rewards program on the card. Such costs may be better understood less as the
price of deferring payment for purchases and more as the price of accessing lucrative benefits
and perks relating to spending activity.

The one key exception to cost stability is the increase in interest rates on variable rate accounts.
Although the CARD Act generally prohibits rate increases on existing balances, it allows issuers
to increase rates on many cards when an index rate, such as the WSJ prime rate, increases. For
several years after the CARD Act’s implementation, such index rates remained relatively stable,
potentially setting a consumer expectation of stable interest rates in perpetuity. Since we
highlighted this issue in our prior report, several increases in background interest rates have
occurred, and issuers have generally increased interest rates on their customers’ accounts
accordingly.

AVAILABILITY OF CREDIT
The availability of credit in the card marketplace is more difficult to measure directly than its
cost. Even so, we find substantial evidence that credit availability is significant and increasing.
Both the number of accounts originated and the volume of credit originated have grown steadily
in recent years, as has the share of consumers opening new accounts. Most origination metrics
we observe are near pre-recession levels. This is true across credit score tiers for both general
purpose and private label cards. Approval rates have climbed for all credit score tiers since post-
recession lows, even as application volumes have stabilized. Credit availability is constrained,
however, by ability-to-pay rules mandated by the CARD Act.

Meanwhile, there has been significant recent change in how consumers procure general purpose
credit cards. Direct mail volume has stagnated. Large shares of applications for general purpose
cards are now sourced through digital channels. More consumers are finding their way to
application pages via digital advertisements or third-party credit card comparison sites. More
consumers are also applying for credit on their mobile devices. Even among private label and
retail co-brand cards, fewer accounts are applied for in-person. The use of at least some digital
channels is disproportionately heavy for consumers with lower credit scores.

We also attempt to verify empirically whether issuers are now putting increased weight on line
management as a risk control tool. Our findings are not dispositive, but they are consistent with

10 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


increased issuer emphasis on line management policies and practices. This may represent issuer
adaptability in the face of the CARD Act’s limitations on repricing and on certain fees.

ISSUER PRACTICES
Digital account servicing platforms, such as websites where consumers can view and manage
account activity, continue to grow in penetration and scope. For all card types, a majority of
consumers are enrolled in online servicing portals. One-third of general purpose accounts are
enrolled in mobile servicing applications. Increased enrollment has been accompanied by
increased consumer reliance on these portals for core account servicing activities. We observe
upticks in the share of accounts opting out of receiving paper billing statements and the share of
accounts making both automatic and non-automatic payments against their accounts using
digital channels. Non-automatic payments are much more frequent than automatic payments.
More qualitatively, we observe that these platforms continue to add functionality, and appear to
be becoming a vector for competition between issuers.

In recent years, many consumer financial service providers have made credit scores and related
information regularly available to their customers, and credit card issuers have been among the
most prominent class of providers doing so. Issuers we surveyed report significant recent
growth in the penetration of free credit score access, with nearly two-thirds of general purpose
accounts providing such access. For about one-quarter of accounts, consumers are actually
viewing their credit scores within a given year.

Consumers, primarily those with higher credit scores, are making increased use of balance
transfer features on credit cards. These transfers are usually at promotional interest rates,
allowing consumers to carry balances for extended periods of a year or more without incurring
any interest charges on that balance. We also document changes to consumer “grace periods” on
purchases that are sometimes—but not always—associated with balance transfers.

Measuring whether credit card products have become more of less complicated over time is
difficult. We do so by quantifying the number and type of different price points in credit card
acquisition disclosures over a decade-long period that extends before and after the CARD Act.
We observe a significant and sustained decline in the average number of price points in
solicitation disclosures. Some, but not all, of these can be attributed to changes in disclosure
rules or practices distinct from whether the underlying product has become more or less
complicated. The largest driver of change is the disappearance of overlimit fees from large

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issuers’ solicitation disclosures, but we also observe that foreign transaction fees are on the
wane, a finding confirmed by external observers.

PRODUCTS MARKETED TO “NON-PRIME BORROWERS”


Many American consumers lack prime credit scores, which makes it difficult for them to access
credit card products with the most favorable terms. They often have to choose from among
products that generally have terms less favorable than are available to consumers with higher
scores. These products offer such consumers the dual possibility of access to the credit card
market as well as an avenue for building or rehabilitating credit records when timely
repayments are made.

We look at four such product classes in detail: unsecured general purpose cards made available
to consumers by mass market issuers; unsecured general purpose cards made available to
consumers by “subprime specialist” providers; secured general purpose cards; and private label
cards. We review product structure and issuer practices for each of these classes, with an
emphasis on secured cards, which are a fast-growing segment of the market that we have not
looked at in prior reports. Secured cards are a potential avenue to establishing “credit visibility”
for some of the consumers we have identified as “credit invisibles.”8 We also look at a range of
market indicators for a late 2014 “vintage” of card originations in each product class, which
allows us to illuminate consumer experiences and outcomes in this part of the market.

THIRD-PARTY CREDIT CARD COMPARISON SITES


Digital technologies have transformed the way that consumers shop for credit cards. One of the
most visible elements in that transformation is the rise of third-party credit card comparison
sites. These sites are neither owned nor operated by credit card providers. They aggregate
information about products on the market into dynamic digital platforms that allow consumers
to compare credit card products along a number of criteria.

8 See Kenneth P. Brevoort & Michelle Kambara, Office of Research, Consumer Fin. Prot. Bureau, CFPB Data Point:
Becoming Credit Visible, (June 2017), available at https://www.consumerfinance.gov/‌‌documents/‌4822‌/
‌BecomingCreditVisible_Data_Point_Final.pdf.

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In recent years these sites have ballooned in their aggregate effect on the market. We observe
that in 2016 they were directly responsible for sourcing almost one-fifth of all general purpose
applications submitted to mass market issuers, resulting in the origination of well over five
million new credit cards. Issuers paid these sites more than $1 billion for credit card approvals
in 2016—representing both the bulk of the sites’ revenue and a significant share of all marketing
spending for consumer credit cards.

DEBT COLLECTION
When consumers fall behind on their credit card bills, issuers use a variety of strategies to
collect the delinquent debt. During the initial stages of delinquency, issuers often engage in
collection activities using collectors that they employ in-house. As part of their internal
collection efforts, some issuers use a combination of in-house and first-party collectors, which
collect in the issuer’s name. These first-party collectors generally share responsibility with the
issuer’s in-house collectors for the same accounts within a given day based on the availability of
resources. Issuers additionally engage with external, third-party collection agencies to handle
certain segments of accounts, such as late-stage or high-risk accounts. Over the last two years,
issuers appear to have pursued more internal collection activity, either through in-house or first-
party collectors, rather than through third-party collectors. Issuers also employed various
contact strategies to collect pre-charge-off debt. Some issuers allow their collectors no more
than three attempts per day to make contact regarding a consumer’s delinquent account,
compared to four as reported in our 2015 Report, while others permit up to 15 attempts daily.
Across surveyed issuers, the average number of call attempts per account per day was 2.4 in
2016. In addition, all surveyed issuers had procedures in place to accommodate the needs of
some limited English proficiency consumers when contacting them via telephone regarding a
debt.

In their efforts to mitigate potential losses on delinquent accounts, issuers offer a variety of
programs to help consumers repay their debts. Depending on the account and the consumer’s
unique circumstances, these programs offer short-term or long-term plans for repayment. Over
the past two years, issuers have exhibited a shift away from short-term programs and have
focused their efforts on enrolling consumers in long-term programs. The inventory of balances
in loss mitigation programs, which spiked after the recession, has declined steadily as many
consumers have completed or left the programs. While issuers’ own loss mitigation programs
remain available to all eligible consumers, most issuers maintain policies of not working with
third-party debt settlement companies.

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If an account becomes 180 days past due, an issuer will charge off the account. At this point, the
issuer may continue collections internally, outsource collections to a third party, sell the account
to a debt buyer, pursue litigation, or “warehouse” the account (meaning that they hold the
account without doing anything to collect). Issuers decreased the size of their third-party
collection networks, including collection agencies and law firms, over the past two years, with a
decline from 127 unique collectors across all issuers in 2015 to 105 in 2017. Many issuers,
particularly for pre-charge-off accounts, reported pursuing a consumer-level collections
strategy, which enables collectors to handle consumers with multiple delinquent accounts
during a single contact attempt. The share of total pre-charge-off delinquent dollars belonging
to consumers with multiple accounts from the same issuer ranged from 10 to 67 percent in 2016.
Among issuers that pursued litigation on charged-off accounts, the average balance in 2016 was
$6,700. Issuers that tracked default judgments reported that they comprised more than two-
thirds of all judgments, meaning that a substantial share of consumers who were sued did not
appear in court or otherwise respond to the summons. Fewer issuers sold debt in 2015 and 2016
than in prior years. Those that continued to sell debt planned to increase their sales of charged-
off debt in 2017.

PRODUCT INNOVATION
In recent years, interest and investment in consumer financial innovation has grown
substantially. New entrants into consumer financial markets are introducing a variety of new
products that leverage new technologies and business models. Some of these innovations and
entrants are focused solely and directly on the credit card market, and many more affect credit
cards as part of broader changes in how consumers make payments or compete with credit cards
as a source of consumer indebtedness and point-of-sale financing.

Increased adoption of EMV “chip” cards appears to have had the intended effect of lowering the
rate of counterfeit card fraud, but also may be pushing more fraud activity into “card-not-
present” transactions. The number and variety of products available to consumers that allow
them to store payment information and make payments via their smartphones have grown
significantly. We conclude by noting an increasing trend towards consumer control over card
usage, as well as trends in credit card reward innovation.

A FINAL NOTE
The quantitative and qualitative indicators outlined above generally suggest a positive picture
for consumers in the credit card market. Direct surveys of consumers support that proposition.

14 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


J.D. Power reported that in 2017 consumers reported their highest levels of satisfaction with this
market to date.9

This satisfaction coexists with high levels of profitability for providers. The Board reports that
the average return on assets at credit card banks continues to exceed levels at commercial banks
generally. In fact, in 2016, large credit card banks had a return on credit card assets three times
that of the overall return on assets for commercial banks.10

The potential to earn such returns may explain recent growth in credit card offerings among
community banks. The Federal Reserve System and the Conference of State Bank Supervisors
found in a mid-2017 survey that “credit cards were offered by 60% of surveyed [community]
banks. This is a sharp increase from the 51% identified in the prior year survey.”11 They further
found that nearly 10% of community banks that do not offer credit cards plan to offer them in
the future—while only one-half of 1% of banks that currently offer credit cards intend to limit
their offerings or exit the market.12

9 Press Release, J.D. Power, Cash-Back Credit Cards Score Highest as Banks, Card Companies Wage Incentive War,
J.D. Power Finds (Aug. 17, 2017), available at http://www.jdpower.com/press-releases/2017-jd-power-credit-card-
study (reporting that “overall customer satisfaction with credit card issuers reaches its highest level in the history of
the study . . .”).

10 See Board of Governors of the Federal Reserve System, Report to the Congress on the Profitability of Credit Card
Operations of Depository Institutions, (June 2017), available at https://www.federalreserve.gov/publications/‌
files/‌ccprofit2017.pdf.

11 Federal Reserve System and the Conference of State Bank Supervisors, Community Banking in the 21st Century, at
18 (Community Banking Research and Policy Conference, Oct. 4-5, 2017), available at https://www.‌community‌
banking.org/~/media/files/cb21pub_2017_book_web.pdf.

12 See id.

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1. Introduction
1.1 Review mandate
The Dodd-Frank Wall Street Reform and Consumer Protection Act (“Dodd-Frank Act”), which
became law on July 21, 2010, established the Consumer Financial Protection Bureau (“Bureau”
or “CFPB”).1 One year later, pursuant to that Act, authority and responsibility for implementing
and enforcing the Credit Card Accountability Responsibility and Disclosure Act (“CARD Act” or
simply “Act”) were transferred from the Federal Reserve Board (“Board”) to the Bureau. The
CARD Act became law on May 22, 2009. Its stated purpose was to “establish fair and
transparent practices related to the extension of credit” in the credit card marketplace.2

Among those responsibilities Congress originally assigned the Board and then transferred to the
Bureau was a mandate to “review, within the limits of its existing resources available for
reporting purposes, [the] consumer credit card market [every two years].”3 In 2012, the Board
and the Bureau agreed that responsibility for the review passed to the Bureau under the terms of
the Dodd-Frank Act. The Bureau has subsequently reported on the market twice since then, first

1 Dodd-Frank Wall Street Reform and Consumer Protection Act, Pub. L. No. 111-203, 124 Stat. 1376 (2010).

2 Credit Card Accountability Responsibility and Disclosure Act of 2009, Pub. L. No. 111-24, 123 Stat. 1734. A full
summary of the CARD Act rules implemented by the Board is at pages 11 through 13 of the Bureau’s 2013 Report.
The Bureau subsequently reissued these rules without material changes in December 2011. See 12 C.F.R. part 1026.
The Bureau later revised two CARD Act rules issued by the Board. On November 7, 2012, the Bureau proposed
selected revisions to the ability-to-pay rules, which were intended to address a number of unintended effects of the
prior rule on consumers who did not work outside the home. The final rule implementing this revision became
effective on May 3, 2013, with an associated compliance deadline of November 4, 2013. See Truth in Lending
(Regulation Z), 78 Fed. Reg. 25818 (May 3, 2013). On March 22, 2013, the Bureau finalized another revision to the
CARD Act rules in response to a federal court ruling in 2012 that had granted a preliminary injunction to block a
part of the Board’s 2011 rule from taking effect. 78 Fed. Reg. 18795 (Mar. 28, 2013); see also Press Release,
Consumer Fin. Prot. Bureau, CFPB Finalized Credit CARD Act Rule (Mar. 22, 2013), available at https://www.‌
consumerfinance.gov/about-us/newsroom/consumer-financial-protection-bureau-finalizes-credit-card-act-rule.

3 15 U.S.C. § 1616(a).

16 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


in 2013, then again in 2015.4 The present report constitutes the Bureau’s third mandated review
of the consumer credit card market.

1.2 Scope
This report fulfills Congress’ directive to review the consumer credit card market in two
overlapping ways.

First, it responds to the general congressional command in section 502 of the CARD Act to
review and report on the “consumer credit card market.” Second, it addresses “within the limits
of [the Bureau’s] existing resources available for reporting purposes” topics explicitly
enumerated by Congress for inclusion in this review, including:5

1. the terms of credit card agreements and the practices of credit card issuers;

2. the effectiveness of disclosure of terms, fees, and other expenses of credit card plans;

3. the adequacy of protections against unfair or deceptive acts or practices relating to credit
card plans; and

4. whether or not, and to what extent, the implementation of this Act and the amendments
made by this Act has affected:

a. the cost and availability of credit, particularly with respect to non-prime borrowers;

b. the use of risk-based pricing; or

4 See Consumer Fin. Prot. Bureau, Card Act Report, (Oct. 1, 2013) (“2013 Report”), available at http://files.
consumerfinance.gov‌/f/201309_cfpb_card-act-report.pdf; Consumer Fin. Prot. Bureau, The Consumer Credit Card
Market, (Dec. 2015) (“2015 Report”), available at http://files.consumerfinance.gov/f/201512_cfpb_report-the-
consumer-credit-card-market.pdf.

5 15 U.S.C. § 1616(a).

17 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


c. credit card product innovation.6

The CARD Act also requires the Bureau to “solicit comment from consumers, credit card issuers,
and other interested parties” in connection with its review.7 This year, as in past years, we have
done so through a Request for Information (“RFI”) published in the Federal Register.8 Also in
keeping with past reports’ practice, we do not address or respond to all comments in a single
subsection of the report, instead discussing specific evidence or arguments provided by
commenters throughout the report.

1.3 Methodology
This section reviews several aspects of the Bureau’s general methodology in compiling this
report. Methodological approaches used in specific sections of this report are explained in more
detail in those sections.

1.3.1 Data sources


This report leverages a number of different data sources. It relies predominantly on sources
already held by the Bureau, by other Federal regulators, and by industry stakeholders. All results
reported in this report are drawn from data aggregated from multiple industry participants.9

6 15 U.S.C. § 1616(a). This report does not address specific safety and soundness issues relating to credit card issuers.
The prudential regulators have the primary responsibility for monitoring the safety and soundness of financial
institutions.

7 15 U.S.C. § 1616(b).

8 Request for Information Regarding Consumer Credit Card Market, 82 Fed. Reg. 13313 (Mar. 10, 2017).

9 No results in this report can be used to identify the outcomes or practices of individual entities. At the same time,
outcomes and patterns we observe in the market as a whole may not be true for (or may only apply in a limited
degree to) any particular industry player.

18 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


Sources include the following:

1. Data from the Bureau’s Consumer Credit Panel (“CCP”), which is a 1-in-48 longitudinal
sample of de-identified credit records purchased from one of the national credit reporting
agencies, and which is representative of the population of consumers with credit records.
The Bureau has advanced substantially in its ability to leverage these data since 2015. This
advancement is reflected both within this report as well as in other Bureau products, such as
our Consumer Credit Trends reports.10 These data contain no personally identifiable
information, such as name, address, or Social Security number. The Bureau cannot tie any of
the information to any particular individual, and the CCP contains no transaction-level data;

2. De-identified information that the Board collects as part of its “Y-14M” data collection.
The Board collects these data monthly from bank holding companies that have total
consolidated assets exceeding $50 billion.11 The Board shares with the Bureau data from Y-
14 banks. The data received by the Bureau cover the period from the middle of 2012 through
the present.12 The Y-14 data used by the Bureau currently account for over three-quarters of
the consumer credit card market as measured by outstanding balances.13

Information in the Y-14 data received from the Board cannot be tied to any particular
individual. Additionally, accounts associated with the same consumer are not linked across
issuers. The data do not encompass individual transactions. In addition, the Bureau uses the

10 See Consumer Fin. Prot. Bureau, Consumer Credit Trends, https://www.consumerfinance.gov/data-research/


consumer-credit-trends (last visited Nov. 28, 2017).

11 More information on the Y-14M collection can be found at https://www.federalreserve.gov/apps/reportforms


/reportdetail.aspx?sOoYJ+5BzDYnbIw+U9pka3sMtCMopzoV (last visited Nov. 28, 2017).

12 The Board has expanded the fields it collects from banks over time; therefore, some results reported below do not
extend all the way back to 2012. Additionally, these data are periodically revised, and are therefore not fully static.

13 These issuers represent a large portion of the market, but are not necessarily representative of the portion of the
market not covered by the data the Bureau receives. A substantial number of consumer credit cards, cumulatively
representing the remainder of the market as measured by outstanding balances, are outside the scope of the Y-14
data used by the Bureau because, among other reasons, they are issued by banks with assets of less than $50 billion,
or are issued by non-banks, such as credit unions. Results reported from Y-14 data throughout this report should be
interpreted accordingly.

19 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


data in the present study only to report aggregate metrics, such that none of the reporting
reveals information about any specific issuer.

These data substitute for, rather than complement, previous loan-level credit card data
collections to which the Bureau was a party. The Bureau no longer requires or oversees the
collection of any loan-level credit card data on a standing basis;

3. Information provided in response to a series of data requests made to a number of


industry participants, comprised of four distinct sets:

a. Data requested from a broad and diverse group of issuers in order to address a range
of topics that neither CCP nor Y-14 data can address. These data cover a variety of
subjects, including application volumes and approval rates, credit line increases, digital
account servicing, and debt collection We refer to these data as Mass Market Issuer
(“MMI”) data;

b. Data requested from issuers that offer deferred interest products. These data should
not be confused with the deferred interest data we reported on in our previous report.
The data we collected for this report differ in two substantial ways: first, they cover a
broader swathe of the deferred interest market; second, they are only aggregate
performance data, not account-level data. We refer to these data as Aggregate Deferred
Interest (“ADI”) data;

c. Data requested from a group of entities that specialize in offering credit cards to
consumers with subprime credit scores. These data differ from the subprime specialist
issuer data we reported on in our previous report in two important ways. First, rather
than being aggregate “snapshot” performance data, these data cover the outcomes and
experiences (in aggregate) of a “vintage” of accounts over time. Second, they include
responses from both bank issuers and non-bank program managers. We refer to these
data as Subprime Specialist Vintage (“SSV”) data; 14

14 We provide greater detail into the structure and scope of the SSV data below in Section 6.

20 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


d. Data obtained from a group of entities that manage websites and mobile applications
(“mobile apps”) that position themselves as empowering consumers to comparison shop
for credit cards. We refer to these websites as “third-party comparison sites” (“TPC
sites”); 15

4. The CFPB’s Credit Card Agreement Database, which is an online database available to the
public, was created pursuant to the CARD Act.16 It contains most credit card agreements
available to consumers as of quarter’s end for each quarter from the third quarter of 2011 to
the fourth quarter of 2014, and from the first quarter of 2016 to present.17 After the fourth
quarter of 2014, the Bureau temporarily suspended collection of agreements for one year in
order to reduce burden while the Bureau developed a more streamlined and automated
electronic submission system.18 Submission and publication resumed in the first quarter of
2016;

5. Responses to the RFI that was published in the Federal Register in March 2017, which
sought comment on all aspects of the review described in Section 1.2 above, as well as the
following additional topics: deferred interest products, subprime specialist products, third-
party comparison sites, secured credit cards, online and mobile account servicing, rewards
products, variable interest rates, and debt collection.19 The RFI generated 27 comments.
That total includes 13 letters from trade associations representing credit card issuers and
other market participants, three letters from individual issuers, three letters from other
industry-side market participants, four letters from consumer advocacy groups, and four
letters from individual consumers;

15 We provide greater detail on third-party comparison sites and the structure and scope of the TPC site data below in
Section 7.

16 15 U.S.C. § 1632(d). The public online database is at http://www.consumerfinance.gov/credit-cards/agreements.

17 Credit card issuers are not required to submit any credit card agreements to the Bureau if the card issuer has fewer
than 10,000 open credit card accounts as of the last business day of the calendar quarter. 12 C.F.R. § 1026.58(c)(5).

18 80 Fed. Reg. 21153 (Apr. 17, 2015); 12 C.F.R. § 1026.58(g).

19 82 Fed. Reg. 13313 (Mar. 10, 2017).

21 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


6. Credit card complaints that consumers have submitted to the Bureau’s Office of
Consumer Response;20

7. Commercially available data sources to which the Bureau subscribes that focus on the
credit card industry, including mail volume monitoring reports, industry analyst reports,
and data services and analytics from industry consultants. As an example, Mintel provides
data on card solicitations and other marketing materials, via a range of channels;

8. Numerous public sources, including but not limited to Securities and Exchange
Commission (“SEC”) filings, analyst reports, studies by other regulators, academic
scholarship, and the trade press; and

9. Other information gathered through Bureau market monitoring activities.

1.3.2 Credit scores


Throughout this report, we refer to consumer credit scores. Lenders use these scores to predict a
consumer’s relative likelihood of repaying a debt compared to other consumers. Credit scores
are used by most credit card issuers to determine consumers’ eligibility for credit and to set
pricing for the credit lines they offer. Data we rely on in this report utilize widely-used,
commercially-available credit scores.

There are two important limitations to the way we use credit scores in this report. Different
credit score models, while fundamentally similar, may include or exclude different data points
or weight them differently. This means, first, that we are aggregating data on the basis of credit
score even though not all consumer credit scores are computed using identical methodologies.
Second, it means that, when reporting certain metrics over longer time horizons, the
introduction of new models and changes in models complicates comparisons between different
points in time. In some cases, one or both of those two issues could change which “credit score
tier” a certain account or consumer falls in. (We explain the credit score tiers that we use in this
report below.) The Bureau believes that different credit scoring methodologies, over the time

20See Consumer Fin. Prot. Bureau, Monthly Complaint Report Vol. 25, at 16 (July 2017), available at
https://www.consumerfinance.gov/data-research/research-reports/monthly-complaint-report-vol-25.

22 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


periods and set of market participants we examine in this report, are sufficiently consistent that
it remains informative and useful to report aggregate results and changes over time by credit
score. We nevertheless proceed with caution when assigning precision, beyond a reasonable
degree, to certain results.

When reporting results by credit score in this report, we group scores into five tiers. This five-
tier grouping differs slightly from the four-tier grouping the Bureau used in past reports, but it
aligns with the groupings used in the Bureau’s more recent Consumer Credit Trends reporting.21
We define the ranges encompassed by the five tiers, as well as each tier’s share of the credit-
scored population and the cardholder population, in Table 1 below. The only substantive
difference between these tiers and those we relied on in our past reports is that we now
subdivide consumers with scores below 620, which we previously referred to as “deep subprime”
scores, into two tiers. These we refer to as “deep subprime” and “subprime,” respectively. Non-
substantively, the range we referred to previously as “core subprime” we now refer to as “near-
prime.” The “prime” and “superprime” ranges are unchanged from our previous reports.
Throughout this report, we refer to scores below 660 collectively as “lower credit scores.” We
intend this change in credit score tiering to allow us to examine outcomes for consumers with
lower credit scores in more detail.

21 See Consumer Fin. Prot. Bureau, Credit Cards: Data Snapshot for September 2017, (Sept. 2017), available at
https://www.consumerfinance.gov/data-research/consumer-credit-trends/credit-cards.

23 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


TABLE 1: CREDIT SCORE RANGE SHARES AS OF Q2 2017 (CCP)

Credit score tiers % of U.S. population % of U.S. scored credit


with a credit score cardholding population
Superprime
56% 62%
(scores of 720 or greater)
Prime
17% 17%
(scores from 660 to 719)
Near-prime
9% 9%
(scores from 620 to 659)
Subprime
7% 6%
(scores from 580 to 619)
Deep subprime
11% 6%
(scores of 579 or less)

Credit scores in the CCP and Y-14 are refreshed regularly. When not otherwise specified,
refreshed scores are used throughout this report to assign accounts and consumers into credit
score tiers. As a result, when analyzing trends over time within a particular credit score tier, we
are not analyzing a constant set of accounts or consumers, but rather accounts or consumers
which fall into that tier at each point in time under analysis, unless otherwise specified. This
clarification is especially important to note in light of the substantial propensity of consumers to
experience changes in their credit score that are large enough to move them from one credit tier
to another.22

Just as individual consumers’ scores can fluctuate over time, the distribution of consumers
(including both cardholders and non-cardholders) in aggregate across these tiers is not static.
We touched on this briefly in our 2015 Report, but it is worth elaborating in greater detail here.23
The share of consumers with a credit score represented by each of the various tiers has
fluctuated over the past decade by as much as four percentage points, as shown in Figures 1 and
2 below. (Figure 2 shows identical results to Figure 1, but highlights the section of the graph
between 50% and 100% to better illustrate fluctuations.)

22 In Section 2.4 of our 2015 Report, we explored this phenomenon in more detail. See 2015 Report, at 53-55.

23 See 2015 Report, at 94.

24 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 1: CREDIT SCORE TIER SHARE OF CONSUMERS WITH SCORES (CCP)

100%

80%

60%

40%

20%

0%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime Subprime Deep subprime

FIGURE 2: CREDIT SCORE TIER SHARE OF CONSUMERS WITH SCORES (CCP)

100%

90%

80%

70%

60%

50%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime Subprime Deep subprime

Recent years have seen a steady upward shift in the credit score composition of the scored
population, which becomes clearer when examining only the lower credit score tiers’ share of the
scored population.

25 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 3: LOWER CREDIT SCORE TIER SHARE OF CONSUMERS WITH SCORES (CCP)

30%

25%

20%

15%

10%

5%

0%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Near-prime Subprime Deep subprime

In fact, this shift has occurred even as the total scored population has been growing, making it
more striking that the absolute number of consumers with lower credit scores has been
declining. Since the period spanning late 2009 through late 2011, when both the absolute
number and the share of consumers with lower credit scores peaked, the number of consumers
with lower scores has fallen by five million, as shown in the two figures below. (We again
highlight a portion of the graph in a separate figure to better illustrate the relevant fluctuations.)

FIGURE 4: CONSUMERS WITH A CREDIT SCORE (CCP)

200M

150M

100M

50M

0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime Subprime Deep subprime

26 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 5: CONSUMERS WITH A CREDIT SCORE (CCP)

200M

175M

150M

125M

100M

75M
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime Subprime Deep subprime

1.3.3 Other definitions


Throughout most of our report, the term “general purpose” refers to credit cards that can
transact over a network accepted by a wide variety of merchants, including the Visa, Mastercard,
American Express, and Discover networks. The term “private label” refers to cards that can only
be used at one merchant or at a small group of related merchants.24 In those few instances
where these terms are used differently, mainly certain parts of Sections 4 and 5, we explicitly say
so.

There are many ways to take a “snapshot” of consumer credit card indebtedness. We rely on two
of the most prevalent. The first entails measuring the current amount owed by consumers on a

24Private label cards generally transact over a private network maintained by the issuer to which the merchant is
granted access. Some cards can transact over both a private label network and a general purpose network. For
example, a consumer may be issued a card that features a merchant’s brand as well as a general purpose network
brand. When used at the merchant, the transaction may be routed over the issuer’s private network, but at other
merchants the transaction is routed over the general purpose network. For the purposes of this report, we consider
those cards to be general purpose credit cards except where explicitly noted otherwise.

27 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


specific date, regardless of where in any individual consumer’s billing cycle that date falls. We
refer to debt calculated in this manner as “outstandings.” For example, if we were to report the
total amount owed by consumers on credit cards as of December 31, 2016, we would refer to that
as outstandings.

The second method entails measuring the amount owed by consumers at the end of their billing
cycles, regardless of whether those cycles fall on a certain date. We refer to debt calculated in
this manner as “balances,” and in most cases as “cycle-ending balances.” For example, if we were
to report the total amount owed by consumers at the end of their billing cycles that concluded in
December 2016, we would refer to that as cycle-ending balances.

We also use the term “debt” to refer to both of these amounts interchangeably. Note also that
consumer debt on credit cards includes both “revolving” debt—debt not paid in full by the
statement due date and thus carried over from one billing cycle to the next—and “transacting”
debt—debt paid in full by the statement due date. While transacting accounts represent a large
share of all credit card purchase volume, revolving accounts generally represent a large share of
all credit card debt at any given point in time. We provide more detail on revolving and
transacting patterns in subsequent sections of this report.

Throughout this report, we refer to the “Great Recession,” which began in the fourth quarter of
2007 and ended in the second quarter of 2009. We sometimes refer to it using the shorthand
“the recession.”

1.3.4 Limitations
The limitations inherent to the Bureau’s methodology in this report are substantially similar to
those inherent in the Bureau’s 2015 Report.25 We restate those limitations here briefly.26

25 2015 Report, at 27.

26
In the interest of full disclosure, we also note that many players in the credit card industry are also entities with
which the Bureau has one or more institutional relationships, such as a research partnership or membership on a
Bureau-convened body.

28 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


First, while we would ideally like evidence that allows us to dispositively identify the causes of
certain outcomes, the largely descriptive fact patterns we lay out generally do not allow us to do
so. While many of the factual observations we make may suggest causality, we caution against
interpreting them as definitively proving or disproving particular causal relationships.

Second, individual sources of data on which we rely each have particular limitations. Some
sources do not provide a comprehensive view of the market; some are limited to the account
level or the aggregate level; and some are purely qualitative. Not all data sources agree on
definitions or delineations, or cover the same periods, products, or phenomena. To the extent
possible, we mitigate these limitations. We attempt to harmonize definitions, and identify those
places where we are unable to do so.

29 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


2. Market size and foundational
metrics of consumer use
This section reviews a number of market metrics in order to provide a foundation for addressing
other topics in the market covered in more detail in subsequent sections—such as the cost of
credit cards (which we cover in Section 3) or their availability to consumers in different credit
tiers (which is in Section 4).

In this section, we review three main aspects of the consumer credit card market. First, we
describe the overall size of the market using a number of different measures. By some metrics,
such as total credit card debt outstanding, the market has generally grown back to or even
surpassed its pre-recession size.1

Second, we look at a number of basic metrics about consumer usage, including cardholding
patterns, consumer- and account-level balance and payment behavior, and rewards penetration.
Some of these metrics point to potentially significant qualitative differences between the credit
card debt held by consumers prior to the Great Recession and the debt held by consumers today.

Last, we report on delinquency and charge-off rates. These present a mixed picture. They remain
below historic norms, but they are worsening, even as widely relied-upon indicators underlying
macroeconomic conditions–like the unemployment rate–do not appear to be deteriorating.

There are two important qualifications to bear in mind when reviewing the findings set forth
below. First, when we refer to consumers or accounts in a particular credit tier, we are using
scores recorded at a particular point in time. For any credit tier and any point in time, the
accounts grouped into that tier will include accounts that migrated into that tier subsequent to
origination, as well as accounts that were originated into that tier but that have not (yet)

1 This has caused some parties to express concern that the consumer credit card market is “overheated.” See, e.g.,
Akin Oyedele, Americans Hold More Credit-card Debt than Ever, and a 'Major Tipping Point' Isn't Far Off,
Business Insider (Aug. 8, 2017), available at http://www.businessinsider.com/credit-card-debt-record-2017-8.
Others disagree. See, e.g., AFSA Comment Letter, at 1-3.

30 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


migrated. Second, references to debt encompass both revolving balances and also purchases
made in the preceding month or cycle that may be paid in full by the end of the next month or
cycle.

2.1 Total market size


2.1.1 Credit card debt
The consumer credit card market is one of the nation’s largest consumer credit markets. The
Federal Reserve Board’s G.19 “Consumer Credit” data show that “revolving credit,” which is
almost entirely credit card debt, represented over a quarter of all non-mortgage consumer debt
outstanding in December of 2016.2 The Federal Reserve Bank of New York’s Quarterly Report
on Household Debt and Credit shows that credit cards comprise the fourth-largest source of
consumer indebtedness behind mortgages, student loans, and auto loans.3

Figure 1 uses data from the G.19 to show the long-term trend in consumers’ revolving credit
balances over time.4 These peaked at just over $1 trillion in 2007 and 2008. During the
recession, these balances fell to under $800 billion. They have since rebounded steadily and,
according to the latest such data, currently approach $1 trillion once again.

2 The G.19 report uses the term “revolving credit” to refer to debt that can be borrowed up to a prearranged limit and
repaid in one or more installments. See Federal Reserve Board, Consumer Credit Data G. 19, (Nov. 17, 2017) (“G.19
Report”), available at http://www.federalreserve.gov/releases/g19/current/default.htm. All credit card
outstandings, therefore, are included—not simply the amount of credit card debt revolved by consumers across one
or more billing cycles. The G.19 data exclude loans secured by real estate when considering consumer credit.

3 Federal Reserve Bank of N.Y., Quarterly Report on Household Debt and Credit (Q3 2017), (Nov. 2017), available at
https://www.newyorkfed.org/microeconomics/hhdc.html.

4 See generally G.19 Report.

31 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 1: OUTSTANDING REVOLVING CONSUMER CREDIT AND TOTAL CONSUMER CREDIT CARD
CYCLE-ENDING BALANCES, ANNUAL AVERAGE (CCP, FRB G.19)5

$1,000B

$800B

$600B

$400B

$200B

$0
1990 1995 2000 2005 2010 2015
CCP credit card balances CCP credit card balances (estimated)
Outstanding revolving consumer debt

These totals include non-credit card revolving debt, such as overdraft lines of credit.
Nevertheless, credit card debt comprises the overwhelming share of G.19 revolving consumer
debt. To illustrate this, Figure 1 also includes a separate schedule of outstanding credit card
balances drawn from the Bureau’s Consumer Credit Panel (“CCP”). Using the relationship
between the CCP and G.19 data during the period for which both are available (i.e., from 2005 to
the present), we can offer an approximate depiction of total consumer credit card balances from
1990 to the present.

By focusing on CCP data, moreover, we can see that consumer credit card debt now exceeds its
pre-recession peak. Figure 2 shows the total of all balances owed by consumers on general
purpose and private label credit cards as of the end of each quarter’s last cycle since 2005. In our
last report we noted that general purpose credit card balances had more-or-less steadily
increased—albeit with seasonal variation—since the end of 2010, but that they had not yet
returned to pre-recession levels. That was still true as of mid-2017. In the fourth quarter of 2016,
total outstanding general purpose credit card debt reached $716 billion, which remains below

5 This chart displays average cycle-ending balances calculated across each full year, which decreases the effect of
seasonality.

32 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


the $733 billion mark reached in the third quarter of 2008. However, private label credit card
debt has also been growing rapidly in recent years, exceeding its pre-recession peak by year-end
2013. Private label credit card debt reached $91 billion in the fourth quarter of 2016, an increase
of 20% since the fourth quarter of 2014 and a 52% increase since the fourth quarter of 2005.
Combined, all credit card balances exceeded $800 billion in the fourth quarter of 2016 for the
first time ever.

FIGURE 2: TOTAL CONSUMER CREDIT CARD CYCLE-ENDING BALANCES (CCP)

$800B
$710B
$594B
$600B

$400B

$200B
$50B $87B

$0
2005 2007 2009 2011 2013 2015 2017
General purpose Private label

2.1.2 Purchase volume


Purchase volume has grown much faster than debt, both since the recession and over the longer
term. To illustrate a longer time series on purchase volume than the Y-14 permits, we use data
from The Nilson Report, an industry standard source of credit card data.6 Figure 3 shows annual
purchase volume on general purpose and private label cards from 2000 onwards.

6 Data on purchase volume are not included in the CCP.

33 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 3: ANNUAL CREDIT CARD PURCHASE VOLUME (NILSON)

$3.5T
$3.1T
$3.0T

$2.5T

$2.0T

$1.5T
$1.1T
$1.0T

$0.5T $206B
$120B
$0
2000 2002 2004 2006 2008 2010 2012 2014 2016
General purpose Private label

Apart from a brief reduction in 2009, annual spending on credit cards in the U.S. has risen
steadily over the past 16 years. General purpose purchase volumes have nearly tripled since
2000 to exceed $3 trillion. Private label purchase volume has grown nearly 72% over the same
period.7 Growth in purchase volume has consistently exceeded growth in outstanding credit card
debt. This is particularly true for the post-recession period. From 2010 to 2016, purchase
volume grew nearly 64% whereas cycle-ending balances grew at only half that rate. This
phenomenon is driven by general purpose cards. Growth in private label spending has actually
lagged growth in outstanding private label debt since 2005.

The discrepancy between purchase volume and debt levels suggests that, especially in the wake
of the recession, consumers have been increasingly making credit card purchases even as they
do not intend to incur long-term debt as a result of making those purchases. That may be
because consumers, especially consumers with higher credit scores, are increasingly using credit

7 Notwithstanding some definitional differences, the Board’s triennial Payments Study confirms these same general
trends. This study reports 2015 purchase volume as $2.8 trillion on general purpose cards and $0.28 trillion in
consumer transactions on private label cards. This compares to just over $1 trillion in general purpose volume and
$0.16 trillion in private label volume in 2000. This study also notes that nearly half of all general purpose credit
card volume in 2015 was “remote,” a large increase from the approximately 30% figure reported in 2009. See Press
Release, Federal Reserve Board, The Federal Reserve Payments Study 2016: Recent Developments in Consumer
and Business Payment Choices (June 30, 2017), available at https://www. federalreserve.gov/newsevents/‌
pressreleases/files/2016-payments-study-recent-developments-20170630.pdf.

34 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


cards for purchases that would otherwise have been made using other media, such as debit
cards, cash, or checks. In addition, it may be related to the increased prevalence of both credit
card rewards and online commerce, both of which we discuss in more detail later in this report.
It may also, or instead, reflect a greater reluctance to incur debt relative to spending levels on
credit cards, independent of any substitution of credit cards for other payment media.

2.1.3 Accounts
As of mid-2017, despite the return to pre-recession levels of debt and the significant increase in
purchase volume, the total number of open accounts remains well below its pre-recession high.
This is primarily driven by relatively slow growth since the recession in the number of private
label cards. The private label market is much smaller than the general purpose market, both in
terms of debt and purchase volume. In terms of accounts, however, the private label market is
more than half the size of the general purpose market. Figure 4 shows trends in open account
numbers for general purpose and private label cards.

FIGURE 4: OPEN CREDIT CARD ACCOUNTS (CCP)

500M
421M 434M

400M
308M
300M
225M
200M

100M

0
2005 2007 2009 2011 2013 2015 2017

General purpose Private label

Since 2011, the number of open general purpose credit card accounts has increased steadily,
although the number of open accounts has not yet returned to its previous high of 471 million

35 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


observed in the third quarter of 2008. Total open private label credit card accounts began to
increase from 2012, but the increases have been less substantial, reaching 225 million by mid-
2017. This is significantly below the previous high of 338 million in the second quarter of 2008,
as well as below levels observed before that point in time.8

2.1.4 Credit line


A credit line is the total amount of debt that a consumer is permitted to incur on an account,
whether or not the consumer actually does so. (A consumer’s credit line is sometimes referred to
as the consumer’s “credit limit.” We generally use those terms, as well as the shorthand terms
“line” or “limit,” interchangeably.) Figure 5 shows trends in total line through mid-2017.

FIGURE 5: TOTAL CREDIT LINE ON OPEN CREDIT CARD ACCOUNTS (CCP)

$4T
$3.5T
$3.1T
$3T

$2T

$1T
$0.52T $0.58T

$0
2005 2007 2009 2011 2013 2015 2017

General purpose Private label

Aggregate general purpose credit card line has risen steadily to $3.5 trillion from its low point of
$2.6 trillion in the fourth quarter of 2010. Despite this significant growth, total general purpose

8 This fall may be attributable in part to a shift in private label practices. During and after the recession, private label
issuers adopted practices and policies that led to inactive accounts being closed much more readily than was
previously the case. Our market monitoring suggests that there was not a parallel shift in practices among general
purpose issuers. There was a one-time wave of general purpose closures associated with the recession. But there was
no associated broad-based change in ongoing practices to speed the closure of inactive accounts in the future.

36 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


line remains below the previous high of $3.8 trillion observed in 2008. The same is true for
private label cards. After a contraction following the recession, private label credit card lines
have rebounded to $584 billion, but remain below figures observed in 2007 and 2008.

Total private label line is significantly lower than the total line on general purpose cards. This
reflects both the substantially lower average credit line on these accounts compared to general
purpose cards (which is discussed further in Section 4) as well as the smaller number of total
open private label accounts, as shown in Figure 4.

2.1.5 Market size relative to gross domestic product


This report refers frequently to the Great Recession, which began in the final quarter of 2007
and ended in the second quarter of 2009.9 The recession had a substantial effect on the credit
card market. Changes in the size of the market can be further framed by comparing the size
metrics used above with changes in gross domestic product (“GDP”) over the same period.10
Figure 6 below shows the path of GDP since 2000.

FIGURE 6: GROSS DOMESTIC PRODUCT (BUREAU OF ECONOMIC ANALYSIS)

$20T

$15T

$10T

$5T

$0
2000 2004 2008 2012 2016

9 See generally Nat’l Bureau of Econ. Res., Business Cycle Dating Committee, (Sept. 20, 2010), available at
http://www.nber.org/cycles/sept2010.html.

10 The Bureau of Economic Analysis defines gross domestic product as “the value of the goods and services produced
by the nation’s economy less the value of the goods and services used up in production.” The metric is widely used to
summarize the nation’s total economic activity.

37 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


As shown in Figure 7 below, through the recession and thereafter, the three dollar-denominated
metrics outlined above—balances, purchase volume, and credit line—have not followed the same
path in relation to gross domestic product.11 Purchase volume fell further than GDP did during
the recession, but quickly recovered. From 2000 to 2016, credit card purchase volume grew 50%
faster than GDP. By contrast, while both total credit line and total balances fell relative to GDP
during the recessionary period, thereafter each stabilized relative to GDP. This suggests that,
relative to the overall scope of economic activity, consumers have shifted their purchasing
behavior to credit cards in a manner that outstrips any parallel growth or shift in their
borrowing behavior. This shift shows no sign of stopping, as the largest issuers recorded
purchase volume growth in the first half of 2017 that substantially exceeded growth in debt.12

FIGURE 7: TOTAL CREDIT CARD PURCHASE VOLUME, BALANCES, AND LINE RELATIVE TO GROSS
DOMESTIC PRODUCT (NILSON, CCP, BUREAU OF ECONOMIC ANALYSIS)

30%

25%

20%

15%

10%

5%

0%
2000 2004 2008 2012 2016
Balances as a share of GDP Purchase volume as a share of GDP
Credit line as a share of GDP

11 We do not use the fourth metric above, total accounts, since it is not denominated in U.S. dollars.

12 See The Nilson Report, Top U.S. Credit Card Issuers at Midyear, Issue 1116 (Sept. 2017), available at
https://www.nilsonreport.com/publication_newsletter_archive_issue.php?issue=1116. Credit card purchase
volume recorded similar year-over-year growth in the third quarter of 2017, though commensurate outstandings
figures were not provided; see also The Nilson Report, U.S. General Purpose Cards through 3Q 2017, Issue 1120
(Nov. 2017), available at https://www.nilsonreport.com/publication_newsletter_archive_issue.php?issue=1120.

38 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


2.2 Market metrics by credit score
This section reviews certain data on the distribution of purchase volume and credit card debt
across credit tiers, including comparative data on the distribution of accounts. Additional
distributional data are also included in the succeeding section on consumer-level metrics, and in
Section 4.

2.2.1 Purchase volume distribution


As of the fourth quarter of 2016, consumers with superprime credit scores account for a
predominant 81% share of the amount spent using credit cards, which is significantly higher
than their 65% share of accounts. Consumers with prime scores account for the next largest
share of spend at 14%, which is smaller than their 19% share of accounts. Consumers with lower
credit scores—including near-prime, subprime, and deep subprime combined—collectively
account for 6% of the amount spent on cards, although these consumers hold 16% of all
accounts. Figure 8 shows these purchase volume shares in more detail, broken down by card
type. Consumers with lower scores make up a substantially larger share of spending on private
label cards. We do not discern any marked changes in the relative shares of purchase volume
accounted for by consumers in different credit tiers over the last few years.

FIGURE 8: SHARE OF 2016 PURCHASE VOLUME BY CONSUMER CREDIT SCORE (Y-14)

General purpose

Private label

0% 10% 20% 30% 40% 50% 60% 70% 80% 90% 100%

Superprime Prime Near-prime Subprime Deep subprime

39 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


2.2.2 Debt distribution

CREDIT CARD DEBT OVERALL


Relative to purchase volume, balances are spread more proportionately across cardholders with
different credit scores. Consumers with superprime and prime credit scores still represent the
large majority of balances. The combined 18% share represented by consumers with lower
scores as of year-end 2016, however, is significantly higher than this group’s 6% share of
spending and close to their 16% share of accounts.13 The different distributional picture for
balances and purchase volume reflects the higher rate at which consumers with lower scores
revolve credit card debt from one monthly billing cycle to the next, which we discuss in more
detail later in this section.

FIGURE 9: SHARE OF CYCLE ENDING BALANCES BY CONSUMER CREDIT SCORE, YEAR-END 2016 (CCP)

General purpose

Private label

0% 10% 20% 30% 40% 50% 60% 70% 80% 90% 100%

Superprime Prime Near-prime Subprime Deep subprime

Figures 10 and 11 provide more detail on the distribution of balances over time by credit tier.
Figure 10 shows fluctuations in credit card debt over time, both overall and for each credit tier.
Figure 11 shows the share of credit card debt represented by each credit score tier over time.
These charts highlight a significant distinction between the composition of credit card balances
today and the composition at the pre-recession peak. Consumers with superprime credit scores

13 Year-end balances may be affected by high spending volumes related to the holiday season. This may cause
superprime to take an outsized importance relative to other tiers.

40 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


represent over 51% of all credit card debt today, a five- to eight-percentage point increase
relative to years prior to and through the recession. However, that share has eroded somewhat
over the last few years; it peaked at just over 53% in the second quarter of 2014.

Overall, total cycle-ending balances have increased 13% from the second quarter of 2015 to the
second quarter of 2017. These gains have been broad based—no credit score tier experienced
growth over that period of less than 10%. However, the highest growth rates have been
experienced by consumers with deep subprime scores, who have seen their total balances
increase 22% over those two years. Similarly, consumers with superprime scores have seen their
debt increase over the same period by only just under 10%—while only slightly slower than other
credit score tiers, this has nonetheless contributed to the slight erosion in their share of all credit
card debt noted above.

FIGURE 10: TOTAL CYCLE-ENDING BALANCES BY CONSUMER CREDIT SCORE (CCP)

$800B

$600B

$400B

$200B

$0
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime No score

41 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 11: SHARE OF CYCLE ENDING BALANCES BY CONSUMER CREDIT SCORE (CCP)

100%

80%

60%

40%

20%

0%
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime No score

GENERAL PURPOSE CREDIT CARD DEBT


In recent years, outstanding general purpose debt has been increasing at a faster rate for
consumers with below-prime credit scores than it has for other consumers. For consumers with
deep subprime scores, such debt has increased 38% from the second quarter of 2015 to the
second quarter of 2017; the comparable figures for subprime and near-prime are 21% and 18%,
respectively. For consumers with superprime scores, balances increased just 12% over the same
period. Even so, total outstanding debt held by consumers with deep subprime credit scores
remains at only three-fifths of the levels recorded in 2009. These trends are shown in Figure 12.
The associated shares of general purpose balances are in Figure 13.

42 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 12: GENERAL PURPOSE CREDIT CARD BALANCES BY CONSUMER CREDIT SCORE (CCP)

$750B

$500B

$250B

$0
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime No score

FIGURE 13: SHARE OF OUTSTANDING GENERAL PURPOSE CREDIT CARD DEBT BY CONSUMER CREDIT
SCORE (CCP)

100%

80%

60%

40%

20%

0%
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime No score

PRIVATE LABEL CREDIT CARD DEBT


Private label balances, too, have recently been increasing at a faster rate for consumers with
subprime and deep subprime credit scores. From the second quarter of 2015 through the second
quarter of 2017, consumers with subprime scores increased their debt by 13%. Consumers with
deep subprime scores increased their debt by 28%. Balances for consumers with superprime
scores increased only 4% over the same period, and prime consumers only saw 5% growth.
Despite their faster growth in recent years, the share of outstanding private label credit card

43 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


debt held by consumers with lower credit scores is still lower than the comparable 2009 figure.
These data are reflected in Figures 14 and 15.

FIGURE 14: OUTSTANDING PRIVATE LABEL CREDIT CARD DEBT BY CONSUMER CREDIT SCORE (CCP)

$90B

$60B

$30B

$0
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime No score

FIGURE 15: SHARE OF OUTSTANDING PRIVATE LABEL CREDIT CARD DEBT BY CONSUMER CREDIT
SCORE (CCP)

100%

80%

60%

40%

20%

0%
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime No score

44 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


2.3 Consumer-level metrics of market size
In this subsection, we examine changes in market size at the consumer level. We look,
specifically, at average per-consumer credit card debt and account holdings. We also cover these
averages for consumers within different credit score ranges. Despite the overall market’s return
to pre-recession levels, these consumer-level metrics reveal some notable differences between
the pre-recession consumer credit card market and the same market today.

Examining any consumer-level metric highlights another important contrast with the pre-
recession period. Comparing the total stock of credit card debt owed by consumers presently to
the period ten years ago, as we do above, neglects the fact that the population of consumers has
grown substantially in that time. The U.S. Census Bureau estimates that the U.S. population was
over 325 million as of mid-2017, an 8% increase over the comparable 2007 figure—and given
shifts in the age structure of the population, the commensurate number when looking only at
those 18 years or older is over 10%.14 In addition to shifts in the credit score composition of the
population over time, which we discuss in Section 1.3.2, this should temper any discussion
referencing to present-day debt levels without examining consumer-level outcomes.

Note that we cannot look at average consumer-level purchase volume over this same kind of
time horizon because we do not have purchase volume data in the CCP. In addition, we hold our
analysis of average credit line until Section 4, which focuses on credit availability in this market.

2.3.1 Average credit card debt


Per-consumer credit card debt shows a clear and sustained return to pre-recession levels. Figure
16 shows average credit card balances for consumers who held at least one open credit card
product, private label or general purpose.15 After falling in the recession, per-consumer credit

14 Press Release, U.S. Census Bureau, U.S. Population Projected to Cross 325 Million Threshold (May 5, 2017),
available at https://www.census.gov/newsroom/press-releases/2017/cb17-tps43.html.

15 The denominator, therefore, is not static over time, as some consumers become cardholders and others shift out of
cardholding altogether.

45 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


card indebtedness has grown since 2011. Average consumer balances were over $4,800 as of the
end of 2016, the highest figure we observe in our data, which runs through mid-2017.

FIGURE 16: AVERAGE PER-CARDHOLDER CREDIT CARD DEBT (CCP)

$9,000

$6,000

$3,000

$0
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime
Deep subprime No score Overall

This high is driven in substantial part by an increase in the average debt level of consumers with
superprime credit scores. Given that these consumers are very likely to transact on their credit
cards, this likely represents less a shift in consumer indebtedness patterns than in purchase
behavior. For example, consumers who cease making purchases with cash or check, instead
migrating their purchase volume to a credit card that they pay off in full each month, may
double their average monthly credit card balance without actually altering their personal
balance sheet meaningfully.

Although all credit score tiers other than superprime record lower per-consumer debt than
previous highs before or during the recession, recent years have shown substantial growth in
this metric for all credit score tiers. Per-consumer credit card debt for all cardholding consumers
has increased 9% since the second quarter of 2015. Average balances for consumers with lower
credit scores, however, have increased substantially more. In fact, the deep subprime credit
score tier has seen average balances increase by 26% over this same time period. As we discuss
in more detail below, payment rates have increased much more slowly and rates of revolving in
these credit tiers are high. The growth in per-consumer debt among consumers with lower
scores, therefore, is more likely to represent an increase in more persistent indebtedness, rather
than solely a shift of purchase volume from one medium to another.

46 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


Cardholders with prime credit scores consistently have significantly higher credit card balances
on average than consumers in any other credit score tier. Over the four most-recent quarters for
which we have data, average balances for these consumers exceeded $8,000 per cardholder. (A
consumer revolving that amount at the 19% APR typical of prime general purpose accounts
incurs about $127 in interest charges each month. Section 3 has more information on interest
rates and other consumer costs.) Unsurprisingly, the lowest balances held by cardholders with
scores are recorded by consumers with deep subprime scores. These cardholders average over
$2,700 in consumer credit card debt in recent quarters.

GENERAL PURPOSE
General purpose balances comprise the overwhelming share of all consumer credit card debt.
Accordingly, when we show average general purpose card debt owed by general purpose
cardholders in Figure 17, we observe very similar trends as average balances across all card types.
Again, while only superprime has surpassed its previous peak, the other credit score tiers have
shown faster recent growth.

FIGURE 17: AVERAGE PER-CARDHOLDER GENERAL PURPOSE CREDIT CARD DEBT (CCP)

$9,000

$6,000

$3,000

$0
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime
Deep subprime No score Overall

PRIVATE LABEL
Average private label credit card debt held by private label cardholders is substantially lower
than the parallel levels for average general purpose debt. In addition, as Figure 18 reflects,
trends in private label credit card debt are strikingly different from trends in general purpose
debt. Average private label cardholder debt has doubled since 2005. Average general purpose

47 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


balances have grown only 6% over that period. Since the beginning of 2015, average private label
balances have increased by 11%, more than twice the rate of growth for average general purpose
balances over that period.

Consumers across all credit score tiers have experienced substantial growth in private label
balances. By the end of 2016, average per-consumer private label credit card debt had reached
the highest levels at every credit tier that we are able to observe in our dataset.

FIGURE 18: AVERAGE PER-CARDHOLDER PRIVATE LABEL CREDIT CARD DEBT (CCP)

$1,500

$1,200

$900

$600

$300

$0
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime
Deep subprime No score Overall

2.3.2 Consumer cardholding


Most consumers have a credit card.16 Our data suggest that around 169 million consumers had
at least one open credit card as of mid-2017. Figure 19 shows the breakdown between consumers

16 As of mid-2017, about 79% of consumers with a credit record had at least one credit card. It is harder, however, to
determine with reliability the share of all consumers with a credit card because of a lack of data around the number
of consumers without credit records—the “credit invisible” population. See Office of Research, Consumer Fin. Prot.
Bureau, Data Point: Credit Invisibles, (May 2015), available at http://files.consumerfinance. gov/f/
201505_cfpb_data-point-credit-invisibles.pdf. With that caveat, however, we estimate that, as of the middle of last
year, around 64% of the adult population possessed a credit card account.

48 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


who hold only general purpose accounts, those who hold only private label accounts, and those
who hold at least one of each. Many cardholders have both, but among those who hold only one
type of card or the other, general purpose is dominant.

FIGURE 19: MILLIONS OF CONSUMERS HOLDING AT LEAST ONE CREDIT CARD, MID-2017 (CCP)

Figure 20 shows the share of consumers, by credit tier, holding at least one open credit card.
The recession saw a significant drop in cardholding across every credit score tier, with the
exception of superprime. In recent years this metric has seen significant growth, especially in
the lower credit tiers. It has not yet returned, however, to pre-recession levels for consumers in
any credit tier.

FIGURE 20: SHARE OF CONSUMERS WITH SCORES AND AT LEAST ONE CREDIT CARD (CCP)

100%

80%

60%

40%

20%

0%
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime
Subprime Deep subprime Overall

49 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


General purpose cardholding trends are similar, albeit at a marginally lower rate of cardholding.
Relevant data are shown in Figure 21. Consumers with higher credit scores, however, have now
returned to pre-recession rates of general purpose cardholding. General purpose cardholding by
consumers with lower scores remains below pre-recession levels despite significant recent
growth, especially in lower credit tiers.

FIGURE 21: SHARE OF CONSUMERS WITH SCORES AND AT LEAST ONE GENERAL PURPOSE CREDIT
CARD (CCP)

100%

80%

60%

40%

20%

0%
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime

Private label cardholding presents a more complex picture, as reflected in Figure 22. For all tiers,
private label cardholding remains well below pre-recession highs. Rates of growth since post-
recession lows have been inversely related to credit score. In fact, private label cardholding rates
have continued to fall for consumers with superprime scores through the present.17

17 We note again, though, that shifts in issuer practices with respect to private label account closures may confound
this analysis to some degree. Supra note 8.

50 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 22: SHARE OF CONSUMERS WITH SCORES AND AT LEAST ONE PRIVATE LABEL CREDIT CARD
(CCP)

80%

60%

40%

20%

0%
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime

The average credit card holder holds multiple cards. For cardholding consumers with credit
scores of 620 or above, the average cardholding is over four open accounts. Their subprime-
scoring counterparts have three cards each. Even cardholders with deep subprime scores
average more than two cards each. These data are shown in Figure 23.

FIGURE 23: AVERAGE NUMBER OF CREDIT CARD ACCOUNTS HELD PER CARDHOLDER (CCP)

1
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime No score

In fact, consumers who lack credit scores are the only group of cardholding consumers for
whom the average is around one account. This result is driven by the dynamics of credit scoring.
Consumers with a credit report but no score generally lack a score because they lack recent

51 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


credit history. Simply having a credit card is very likely to change that condition. As a result,
most consumers without a score who procure a credit card move into scored status by the time
they procure any subsequent cards.18

Figure 23 also shows that consumers in every credit tier hold fewer cards than the same credit
tier held at the pre-recession peak. The decline is sharpest for consumers with prime and
superprime scores, who averaged well over five accounts each before the recession. Cardholding
consumers with superprime scores, in fact, recorded their lowest average card count at the end
of our data period in mid-2017. Cardholders with subprime, deep subprime, and near-prime
scores, however, have shown steady and sustained growth in the average number of open credit
card accounts held since post-recession lows. Consumers with prime scores have also shown
some growth on this metric since 2014. Figure 24 shows similar results—obviously at
consistently lower levels—for average general purpose cardholding by general purpose
cardholders.

FIGURE 24: AVERAGE NUMBER OF GENERAL PURPOSE CREDIT CARD ACCOUNTS HELD PER GENERAL
PURPOSE CARDHOLDER (CCP)

1
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime No score

18 See generally Kenneth P. Brevoort & Michelle Kambara, Office of Research, Consumer Fin. Prot. Bureau, CFPB
Data Point: Becoming Credit Visible, (June 2017), available at https://www.consumerfinance.gov/documents/
4822/BecomingCreditVisible_Data_Point_Final.pdf. This analysis provides more detail about the dynamics of
consumers moving from a “credit invisible” or unscored status to a scored status.

52 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


Figure 25, however, shows somewhat different results for the private label market. As with
general purpose cards, this market shows recessionary declines in the average number of private
label cards held by private label cardholders. Drops were steep for consumers with superprime
and prime scores, particularly so for consumers with superprime scores, who have also seen no
change in cardholding since their cardholding rates stabilized in 2012. Consumers with lower
scores, however, have consistently shown an increase in cardholding since the recession, and
their private label cardholding has returned to pre-recession levels.19

FIGURE 25: AVERAGE NUMBER OF PRIVATE LABEL CREDIT CARD ACCOUNTS HELD PER PRIVATE LABEL
CARDHOLDER (CCP)

1
2005 2007 2009 2011 2013 2015 2017
Superprime Prime Near-prime Subprime Deep subprime No score

The above figures do not include cards issued to authorized users—individuals designated by the
primary account holder to receive an access device tied to the same credit account. Our data
indicate that the number of consumers who are not themselves cardholders but have at least one

19 Again, we note the shift in issuer practices regarding private label closures, which suggests that metrics focused on
origination, indebtedness, and spending may be increasingly the better indicators of penetration and usage in this
market. Supra note 8.

53 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


card they hold as an authorized user has hovered just over 12 million for the past three years.20
This represents a substantial increase over the pre-recession average of about eight million.
Those individuals are fairly evenly distributed across credit score tiers, with the exception of
prime where the number of authorized-user-only consumers is nearly triple the other tiers. We
observe around the same rates of growth from pre- to post-recession levels across all credit score
tiers.

2.4 Card payment behavior


In this subsection, we examine three sets of questions relating to how consumers pay their credit
card debts. First, we look at the share of accounts engaging in transacting or revolving behavior.
Second, we look at payment rates. Third, we address questions relating to persistent
indebtedness. Our data make it challenging to address this last set of questions, but we plan to
examine the issue more closely in the future.

2.4.1 Transacting and revolving rates


At any given point in time most cardholders have a balance on at least one card. Accounts with
balances can be identified as exhibiting one of two basic patterns in any given cycle.
“Transacting” accounts pay off the previous cycle’s balance in full before the end of the next
cycle. “Revolving” accounts pay some amount less than that. An account can move back and
forth between these two statuses over time either because of deliberate consumer choice or
because a consumer inadvertently missed a payment. As we discussed in our previous report,
however, many accounts exhibit persistent payment behavior over time.21

20 Recent surveys find just over 70% of consumers report having a credit card. As noted above in this section, we find
roughly 64% of consumers have one, though this does not include authorized users. At 12 million, authorized users
would account for roughly an additional 5% of the adult population.

21 2015 Report, at 50-52. The material on these pages summarized findings from Benjamin J. Keys & Jialan Wang,
Minimum Payments and Debt Paydown in Consumer Credit Cards, (U. of Chicago Harris Sch. of Pub. Pol’y,

54 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


Figure 26 shows the average share of accounts revolving a balance from one month to the next
in 2016, broken down by card type and cardholder credit score. For both card types, revolving
rates decrease as credit scores increase. For all credit score tiers, general purpose revolving rates
are higher than private label rates.

On average, two-fifths of general purpose accounts revolve a balance.22 This rate jumps to three-
fifths if accounts with superprime credit scores are excluded and to four-fifths if considering
only accounts held by consumers with lower scores. Private label cardholders with below-
superprime credit scores show more differentiation in revolving share by credit score tier. The
difference between the average revolving rates of prime and deep subprime accounts is 31
percentage points for private label versus 19 percentage points for general purpose.

FIGURE 26: SHARE OF ACCOUNTS REVOLVING, 2016 (Y-14)

90%

60%

30%

0%
General purpose Private label
Superprime Prime Near-prime Subprime Deep subprime Overall

Our data on whether accounts revolve or transact come solely from the Y-14. This means we can
quantify only the share of accounts that revolve, not the share of consumers that do so.
However, three recent surveys shed some light on the consumer experience in this respect.

Working Paper 2015), available at https://business.illinois.edu/finance/wp-content/uploads/sites/46/2015/01/


Jialan-Wang-JMP.pdf.

22 These shares include all accounts, including inactive accounts.

55 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


First, a recent survey carried out by the Board suggests that roughly half of consumers report
that they generally avoid carrying any credit card balances. The other half report revolving on at
least one account frequently or persistently.23 In the latter group, about half reported paying
consistently more than the minimum payment, while half reported paying the minimum
payment frequently or persistently. Second, a survey conducted in 2016 by the Financial
Industry Regulatory Authority (“FINRA”) found that 47% of consumers reported carrying a
balance in some months in the previous year.24 Third, the Bureau recently carried out a survey
on overall consumer financial well-being.25 It found that just under 40% of consumers report
always paying their credit card bills in full every month, with another 13% reporting doing so
often, a result similar to both FINRA’s and the Board’s.

FIGURE 27: FREQUENCY WITH WHICH CONSUMERS REPORT PAYING THEIR CREDIT CARD BILLS IN FULL
(CFPB FINANCIAL WELL-BEING SURVEY)

0% 10% 20% 30% 40% 50% 60% 70% 80% 90% 100%

Always Often Sometimes Seldom Never or not applicable

2.4.2 Payment rates


Payment rates provide an additional measure of consumer reliance on credit cards as a source of
credit. Payment rate data reveal the share of total cycle-beginning balances that are paid in a

23Federal Reserve Board, Report on the Economic Well-Being of U.S. Households in 2016, at 35 (May 2017),
available at https://www.federalreserve.gov/publications/files/2016-report-economic-well-being-us-households-
201705.pdf.

24FINRA, Financial Capability in the United States 2016, at 21 (July 2016), available at
http://www.usfinancialcapability.‌org‌/‌downloads/NFCS_2015_Report_Natl_Findings.pdf.

25
See Consumer Fin. Prot. Bureau, Financial Well-Being in America, (Sept. 2017), available at
http://files.consumerfinance.gov/f/documents/201709_cfpb_financial-well-being-in-America.pdf.

56 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


given billing cycle. For example, a payment rate of 100% for a given segment corresponds to all
account balances being paid in full. A payment rate of 0%, by contrast, indicates that no one is
paying any credit card bill even in part.

As noted in our previous report, overall monthly payment rates were around 20% prior to the
recession, but rose to 27% by the beginning of 2015. While we cannot directly compare
outcomes observed in the Y-14 data with results from our previous report, that data source
shows general purpose payment rates reaching nearly 29% on average in 2016, as reflected in
Figure 28.26 Although superprime accounts show markedly higher payment rates than accounts
held by consumers in other credit tiers, accounts in all credit tiers are currently recording
payment rates that are substantially higher than their pre-recession levels. This result is
consistent with results we reported in 2015.

FIGURE 28: PAYMENT RATES, 2016 (Y-14)

45%

30%

15%

0%
General purpose Private label

Superprime Prime Near-prime Subprime Deep subprime Overall

Figure 28 also shows that private label payment rates are lower overall than general purpose
payments rates. While this is true across all credit score tiers, it is especially true for superprime
accounts. Superprime general purpose balances are paid at a rate nearly double that of

26 CCP data do not allow us to observe payment rates.

57 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


superprime private label balances. This may be the result of the prevalence of deferred interest
promotions in the private label market. These promotions incentivize consumers to pay less
than the full balance each month so long as the full promotional balance is repaid in full by the
end of the promotional period. As of the end of 2016, deferred interest promotional balances
outstanding for consumers with superprime scores were equivalent to over half of private label
balances owed by those same consumers.27 We discuss these promotions further in Section 3.

2.4.3 Persistent indebtedness


It remains unclear precisely what combination of factors has contributed to the change in
payment rates relative to the pre-recession norm. It is also unclear whether the change will
endure. Given that higher consumer payment rates represent both cause and effect of lower
consumer risk in the market, finding ways to empower consumers to manage their balances as
effectively as possible remains a core research and—given the efforts of a number of issuers in
this area—market monitoring focus for the Bureau. We are interested in learning from issuers
and other market participants about how consumers can best achieve this.

Other regulators have also shown a similar interest. The United Kingdom’s Financial Conduct
Authority (“FCA”) has recently published a series of findings that address, among other market
topics, what the FCA terms “problem credit card debt.”28 The FCA defines and quantifies four
indicators of such debt. Two indicators—“serious arrears” and “severe arrears”—focus on
consumers who are failing to make timely payments, which is a subject that we address later in
this section.

The FCA’s other two indicators focus on situations in which consumers are generally meeting
minimum obligations (and thus avoiding default), but are still demonstrating patterns of
indebtedness that may suggest significant consumer risk. The FCA defines “systematic
minimum repayment” to cover consumers making only minimum payments in at least nine of 12
annual cycles. It defines “persistent debt” to cover consumers having greater than 90%

27 Most, but not all, deferred interest promotions are offered on private label credit cards.

28
See Fin. Conduct Auth., Credit Card Market Study, (Nov. 2015), available at https://www.fca.org.uk/credit-card-
market-study-interim-report.

58 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


utilization on at least one card. Both measures apply only to consumers who are incurring
interest charges.

Current data sources available to us do not allow us to produce findings parallel to the FCA’s
analysis. Our last report, however, highlighted research demonstrating that at least one-in-ten
general purpose accounts appear to exhibit systematic minimum repayment behavior.29

In addition, new research indicates that a significant number of U.S. credit card consumers
carry persistent credit card debt.30 This research does not focus on utilization, but instead
examines the length of time accounts remain in a revolving status after they have first begun
revolving. Revolving episodes for higher- and lower-credit-score accounts last for nine and 13
months on average, respectively. Nearly two-fifths of higher-score episodes and over half of all
lower-score episodes last for six months or more. About 12% of higher-score revolvers and 20%
of lower-score revolvers sustain balances continuously for more than two years, by which point
only a small share of accounts transition out of revolving status in any given billing cycle.31

2.5 Rewards
Rewards cards have become increasingly central to the credit card market. In our 2015 Report,
we identified rewards programs as benefits programs associated with credit card accounts

29 See 2015 Report, at 50-52.

30 This analysis is based on research carried out by Alexei Alexandrov, Özlem Bedre-Defolie & Daniel Grodzicki,
Consumer Demand for Credit Card Services, (Oct. 13, 2017), available at https://sites.google.com/site/
danieljosegrodzicki/system/app/pages/search?scope=search-site&q=Consumer+Demand+for+Credit+
Card+Services.

31 These results are based on account-level measures from a data source that covers a significant majority, but not the
entirety, of the consumer credit card market. See id. Self-reported evidence paints an even more negative picture at
the consumer level. A recent survey reported that, as of August and September of this year, more than two-in-five
consumers had been carrying a balance for at least two years, and nearly a quarter had been doing so for at least five
years. See Michelle Crouch, Survey: Who is Most Likely to Carry Credit Card Debt, creditcards.com (Sept. 27,
2017), available at https://www.creditcards.com/credit-card-news/card-debt-survey.php.

59 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


sharing a set of key characteristics.32 In this section, we update certain key metrics in the
rewards markets, and note certain other market developments.

2.5.1 Key rewards metrics

FIGURE 29: SHARE OF ACQUISITION MAILINGS ASSOCIATED WITH REWARDS CARDS (MINTEL
COMPEREMEDIA)

80%

60%

40%

20%

0%
2002 2004 2006 2008 2010 2012 2014 2016

Rewards credit cards have maintained their prevalence since our last report, as evidenced by
rewards card marketing and usage. Purchase volume on rewards cards in the Y-14 as a share of
all purchase volume has increased steadily for consumers in all credit tiers since 2013. By 2016,
it accounted for 88% of all general purpose purchase volume in the Y-14. Spending on rewards
cards is proportionally more prevalent for consumers in higher score credit tiers. As shown in
Figure 30, less than half of credit general purpose card spending by consumers with deep
subprime credit scores was on a rewards card, contrasted with over 90% of spending by
consumers with superprime scores in 2016.33

32 2015 Report, at 209.

33We do not provide a parallel depiction for private label card rewards spend. Less than 7% of private label purchase
volume overall is attributable to any rewards program.

60 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 30: SHARE OF GENERAL PURPOSE PURCHASE VOLUME ON A REWARDS CARD, 2016 (Y-14)

100%

80%

60%

40%

20%

0%

Superprime Prime Near-prime Subprime Deep subprime

One major dimension of rewards programs is the form that the rewards take. The data available
to us permit the subdivision of rewards programs into three types. First, “cash” or “cashback”
rewards allow consumers to redeem rewards for statement credits, checks, deposits to an asset
account, or cash at an ATM. Second, “miles” programs managed by third-party airlines are
associated with co-brand cards that allow consumers to accumulate airline-branded rewards
when using their card. The remaining programs are classified as “other,” a category that
includes non-cashback issuer-managed programs (such as those that offer “points” redeemable
for travel) as well as programs managed by third parties that are not airlines, such as hotel
chains.

In 2016, purchases on cash rewards made up 27% of overall credit card spending. Purchases on
miles rewards made up 21%.34 As shown in Figure 31, cash rewards penetration is roughly equal
(in proportional terms) across all credit score tiers. Miles rewards penetration, by contrast, is
highly correlated with credit score tier. Spending by consumers with superprime scores on miles
cards nearly equaled superprime spend on cashback cards. In contrast, spending on cashback
cards among consumers with deep subprime scores outstripped deep subprime miles spend by a

34A number of RFI commenters confirmed cashback’s status as the single most popular rewards product. See, e.g.,
Auriemma Comment Letter, at 12; Visa Comment Letter, at 5-6; Discover Comment Letter, at 5-6. One commenter
attributed this popularity to “the ease of understanding the value proposition” and the ability to use the cashback
reward “for any purpose.” Visa Comment Letter, at 5.

61 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


factor of nearly six. Miles cards are typically higher line products that are often marketed to
consumers with higher scores.

FIGURE 31: PURCHASE VOLUME BY REWARDS TYPE AND CREDIT SCORE TIER, 2016 (Y-14)

Superprime

Prime

Near-prime

Subprime

Deep subprime

0% 10% 20% 30% 40% 50% 60% 70% 80% 90% 100%

Cash Miles Other None

Both of these categories, however, are eclipsed by spending on “other” rewards products. That
spend represented two-fifths of all general purpose purchase volume in 2016. Spend share in
this category is also correlated with credit score tier. This is the largest single rewards category
for consumers with prime and superprime scores. But consumers with deep subprime scores
spent only 13% of their card dollars using those cards, less than half their spend on cashback
cards.

As we noted earlier, the vast majority of purchase volume on general purpose credit cards is
made by consumers with superprime credit scores. Their spending represents over four-fifths of
all dollars spent on general purpose cards in 2016. As reflected in Figure 32, superprime is the
dominant credit tier for spend via all rewards types. (Figure 32 inverts the analysis in Figure 31.
It shows the credit score tier share of spend by rewards type, as opposed to the rewards type
share of credit score tier spend.)

Despite the high penetration of rewards on superprime accounts, superprime accounts still
represent the majority of all cards that have no associated rewards feature. Spending by
consumers with superprime scores on non-rewards cards constituted over 7% of all general
purpose dollars spent in 2016.

62 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 32: SHARE OF GENERAL PURPOSE PURCHASE VOLUME BY CREDIT SCORE AND REWARDS
TYPE, 2016 (Y-14)

Cash

Miles

Other

None

0% 10% 20% 30% 40% 50% 60% 70% 80% 90% 100%

Superprime Prime Near-prime Subprime Deep subprime

2.5.2 Other market developments


Rewards remain very popular with consumers.35 Competition among issuers in the rewards
credit card market has appeared to increase in intensity even over the past two years.36 There is
particularly visible and heated competition among issuers for high-spend consumers. Six of the
largest issuers have recently debuted or substantially revised “premium” rewards credit cards,
which feature exceptionally generous benefits for a high annual fee.37 There is similarly intense

35If popular culture is any indication, a recent entry by the highest-traffic webcomic on the internet suggests many
consumers may relate to the experience of investing significant time attempting to optimize their credit card
rewards benefits. See XKCD, Credit Card Rewards, https://xkcd.com/1908/ (last visited Dec. 5, 2017). One
commenter noted that credit card rewards programs are “increasingly accessible and popular” and noted high
consumer satisfaction with rewards program earning and redemption features. See Auriemma Comment Letter, at
13. Other commenters noted that rewards are often the primary factor considered by consumers in choosing their
primary card. See AFSA Comment Letter, at 2; CBA/FSR Comment Letter, at 8.

36See, e.g., Magnify Money, Spending on Credit Card Rewards has Exploded in Banks’ Frenzied Competition Over
Customers, Business Insider (May 5, 2017), available at http://www.businessinsider.com/spending-on-credit-card-
rewards-has-exploded-2017-5.

37 Section 3.3.3 presents more detailed data on the intersection of annual fees, rewards, and credit score tier.

63 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


competition for branding partners, including airlines, hotels, and certain retailers. Issuers
presumably believe that a substantial number of consumers are inflexible in their loyalty to
certain merchants or brands, and are therefore willing to offer these merchants generous terms
for the exclusive rights to market credit cards featuring their brand and leveraging their loyalty
rewards programs.

2.5.3 Market opportunities


In our 2015 Report, we identified a number of areas of potential concern regarding rewards card
practices. While a number of these issues persist, progress has been made on others.38
Additionally, the American Bankers Association, which represents most of the largest rewards
cards-issuing banks, recently wrote a letter to the Bureau highlighting “principles that undergird
[their] commitment to consumers.” These include a number of practices that, if universally
adopted in the collaborative and constructive spirit of the letter, would address at least some of
those concerns. These principles include ensuring consistent consumer access to rewards terms
and conditions throughout the account lifecycle, a number of steps to ensure consumer-friendly
experiences with sign-up bonuses and similar promotions, and better communication around
expiration and forfeiture. The Bureau is encouraged by efforts to improve the clarity and user-
friendliness of rewards card products and disclosures, and continues to monitor rewards
programs closely for opportunities to improve consumer experiences and outcomes.

We also note in Section 9 below that the structure of rewards programs themselves are
becoming more diverse, and in so doing are offering some consumers a wider variety of
incentives. For example, the Bureau is aware of at least one significant program that offers
consumers rewards tied at least in part to payments of balances on the card—not simply to the
spend that causes those balances to accumulate. Issuer experimentation of this kind is a further
sign of healthy competition in the market.

38
One commenter noted that issuers “have taken steps to improve the clarity of rewards program marketing
materials and disclosures.” See Auriemma Comment Letter, at 14.

64 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


2.6 Delinquency and charge-off
When a consumer fails to make a required minimum payment by the due date, the credit card
account becomes “delinquent.” Accounts that remain delinquent for 180 days must be “charged
off,” meaning that the issuer can no longer consider the outstanding balance as an asset on its
balance sheet.39 Both delinquency and charge-off generally result in a marked decline in a
consumer’s credit score. This subsection summarizes delinquency and charge-off trends in the
consumer credit card market since 2005.40

2.6.1 Delinquency
Figure 33 shows the share of credit card accounts that are 60 or more days delinquent, meaning
that they are at least three minimum monthly payments behind on their debt obligation.41 We
refer to this level of delinquency as “severe” delinquency. Figure 34 shows the share of balances
severely delinquent.

After a recessionary spike, balance delinquency rates on both general purpose and private label
balances have fallen below pre-recession levels. That fall was steep for general purpose balance
delinquencies, which have risen only slightly since their lowest post-recession point. Account
delinquency rates show a similar pattern to balance delinquency rates on general purpose cards.
For private label cards, which traditionally have higher balance delinquency rates, there has also
been a fall from pre-recession levels, but it is smaller, and the rise in recent quarters is bringing

39 Delinquent accounts may have to be charged off prior to 180 days in certain circumstances as, for example, with a
bankruptcy. See Office of the Comptroller of the Currency, Policy Implementation – The Guidance Attached to this
Bulletin Continues to Apply to Federal Savings Associations, OCC Bulletin 2000-20, (June 20, 2000), available at
https://occ.gov/news-issuances/bulletins/2000/bulletin-2000-20.html.

40 We do not show delinquency and charge-off data by credit score because delinquency and charge-off themselves
have such a large effect on that score.

41 Delinquency is often framed in terms of the number of days an account has been delinquent. An account three or
more cycles delinquent is equivalent to an account more than 60 days delinquent.

65 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


the balance delinquency rate closer to pre-recession levels. Account delinquency rates on private
label cards fell more modestly into the recession and are now well above pre-recession levels.42

FIGURE 33: SHARE OF ACCOUNTS 60 OR MORE DAYS DELINQUENT (CCP)

2.5%

2.0%

1.5%

1.0%

0.5%

0%
2005 2007 2009 2011 2013 2015 2017

General purpose Private label

FIGURE 34: SHARE OF BALANCES 60 OR MORE DAYS DELINQUENT (CCP)

6%

4%

2%

0%
2005 2007 2009 2011 2013 2015 2017

General purpose Private label

42 We note again the possibility that the denominator here was affected by a shift in issuer practices. Supra note 8.

66 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


The depictions above show snapshots of the overall delinquency picture at specific points in
time. In contrast, Figure 35 shows the share of consumers with a credit record who have
experienced a severe delinquency on either a general purpose or private label account in the
preceding 12 months.43

FIGURE 35: SHARE OF CONSUMERS WITH A CREDIT RECORD WHO HAVE AT LEAST ONE 60-OR-MORE-
DAY DELINQUENCY ON A CREDIT CARD ACCOUNT IN THE PRECEDING YEAR (CCP)

16%

12%

8%

4%

0%
2005 2007 2009 2011 2013 2015 2017

General purpose Private label

This measure of severe, consumer-level delinquency was fairly stable for both general purpose
and private label accounts pre-recession. Surprisingly, there was not a significant increase
associated with the recession. Starting in 2011, however, this measure of severe delinquency has
declined substantially in both the general purpose and private label markets. The general
purpose market experienced a larger decrease, with the rate recently plateauing at between 8%
and 9%, compared to its peak at over 14% in 2010. The private label side has fallen as well, and
is currently stabilizing around 4%, the lowest level in over a decade.

It is not immediately clear precisely why this consumer-level measure remained so stable even
as the share of accounts severely delinquent spiked during the recession; the causes for the
disjunction are a subject for further exploration.

43Note that these metrics are not mutually exclusive. A consumer who experienced a recent severe delinquency on at
least one of each type of account would be included in both metrics.

67 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


2.6.2 Charge-off
Charged-off balances have behaved similarly to delinquent balances over the last decade, as
Figure 36 shows. Both general purpose and private label charge-offs fell from their recessionary
high points to pre-recession levels or lower for most of the past half-decade. However, both
markets have seen upticks in recent periods, recording their highest levels in several years.
Forward-looking loss projections at a number of major issuers suggest an expectation among
issuers that charge-offs will continue to increase.44 The uptick is more pronounced for private
label cards. Research from one leading consultancy showed that consumers ranked private label
cards amongst the least likely to be paid in both 2008 and 2010.45

FIGURE 36: ANNUALIZED RATE OF GROSS OUTSTANDING BALANCES CHARGED OFF (CCP)

18%

15%

12%

9%

6%

3%

0%
2005 2007 2009 2011 2013 2015 2017
General purpose Private label

44 See generally Federal Reserve Board, Report to Congress on the Profitability of Credit Card Operations of
Depository Institutions, (June 2017), available at https://www.federalreserve.gov/publications/files/
‌ccprofit2017.pdf. The substantial increase in loan loss provisions is the reason credit card bank profitability declined
from 2015 to 2016 in spite of higher interest revenues. Id.

45Moshe Orenbach, Cardbeat Newsletter, at Slide 7, Auriemma Consulting Group (Vol. 16, Issue 12). Other distinct
factors may influence private label credit card charge-off rates as well; two recent reports suggested that consumers
may be less likely to pay back cards acquired at brick-and-mortar locations which have since closed. See Matt
Townsend et al., American’s ‘Retail Apocalypse’ Is Really Just Beginning, Bloomberg (Nov. 8, 2017), available at
https://www.bloomberg.com/graphics/2017-retail-debt; AnnaMaria Andriotis, Here’s the Credit Card That’s
Gathering Dust in Your Wallet, Wall St. J. (Nov. 30, 2017), available at https://www.wsj.com/articles/heres-the-
credit-card-thats-gathering-dust-in-your-wallet-1512050400.

68 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


The share of consumers who have experienced at least one charge-off in the last year, for both
general purpose and private label cards, resembles the parallel metrics for delinquencies. As
shown in Figure 37, this metric was largely stable for both general purpose and private label
before and during the recession. From there, however, the general purpose rate dropped steadily,
with only a small recent uptick observable. Both rates are at or near the lowest levels we are able
to observe in our data. While other charge-off indicators are less positive, this metric suggests
that the overall charge-off picture remains more complex and deserving of further analysis.

FIGURE 37: SHARE OF CONSUMERS WITH A CREDIT RECORD WHO HAVE EXPERIENCED AT LEAST ONE
CHARGE-OFF OF A CREDIT CARD ACCOUNT IN THE PRECEDING YEAR (CCP)

9%

6%

3%

0%
2005 2007 2009 2011 2013 2015 2017

General purpose Private label

One particular concern about the recent—though still slight—upticks in delinquency and charge-
off that are reflected in Figures 33, 34 and 36 is that they are occurring in the absence of a
broader reversal of economic conditions. In the past, increases in credit card delinquencies and
charge-offs have often been correlated with periods of economic recession, when total economic
output and incomes contract and levels of employment decline.46 At the time of writing, however,
economic growth rates remain positive and unemployment remains low. To the degree that

46This can readily be seen by comparing changes in the Board’s data on credit card charge-off and delinquency rates
at commercial banks, https://www.federalreserve.gov/releases/chargeoff, with the National Bureau of Economic
Research’s list of US Business Cycle Expansions and Contractions, http://www.nber.org/cycles.html (both last
visited Dec. 7, 2017).

69 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


deteriorating credit card performance suggests some fragility in the ability of credit card
consumers to make ends meet, it may raise some concerns about what might transpire if
macroeconomic trends were to change. Alternatively, however, recent trends may simply reflect
a move back towards pre-recession underwriting norms, in which case the lack of an
accompanying adverse shift in macroeconomic conditions would likely be a less reliable
indicator of a significant shift in the overall financial health of consumers.

70 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


3. Cost of credit
The cost of card credit—both its level and its structure—is one of the most important factors in
understanding the dynamics of the credit card market. As we have done in our prior reports, we
assess overall costs to consumers using our “total cost of credit” measure. We further analyze the
main components of consumer cost—interest charges and various fees. We also provide some
updated metrics for deferred interest promotions.

Y-14 data provided to the Bureau by the Board are the main source for this section of the report.1
This source is new to the Bureau. As a result, our ability to reconstruct backwards-looking cost
trends has limits. Most charts we present in this section represent a snapshot of 2016, rather
than a trend line covering a relatively short, and largely stable, interval. There is enough overlap
between the data on which we rely here and the data underlying the results we presented in our
2015 Report, however, that we can and do set our results in the context of the results seen in our
prior work.

In our 2013 Report, we observed that there were changes in certain components of credit card
pricing such as the level of late fees and the incidence of overlimit fees that were directly
attributable to the CARD Act, which specifically regulated those components.2 We further
observed an increase in interest rates during the period in which the CARD Act took effect but
explained that we could “make no judgment on the extent to which the CARD Act, as
distinguished from other factors such as the impact of the Great Recession, contributed to these
increases.”3 We also noted an overall decrease in the total cost of credit but noted that it was

1 For more detail on the Y-14 data, see Section 1.3.1. It is worth repeating that Y-14 data are not necessarily
representative of the part of the market not covered by the Y-14 data. Some cost data associated with accounts
outside the reach of our Y-14 review is included in Section 6, which covers costs (and a number of other metrics) on
cards issued by smaller, subprime specialist issuers.

2 See 2013 Report, at 5.

3 Id.

71 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


“again . . . unclear how much of that change is attributable to the CARD Act.”4 The current
report cannot address these unanswered questions because we are looking here at a period
further removed from the implementation of the CARD Act. Moreover, as noted, the Y-14 data
that we use to look at the cost of credit start in 2012, which was after the CARD Act took effect.

3.1 Total cost of credit


To capture the all-in cost of using credit cards, we continue to rely on our total cost of credit
metric, or “TCC.”5 TCC captures the totality of payments by consumers to issuers as an
annualized percent of cycle-ending balances. For the purposes of reporting this and other
metrics in this section, we show annualized figures. In this section, for example, we show the
total cost consumers incurred over the course of 2016 relative to the average aggregate
outstanding balances on those accounts over the same period.

3.1.1 TCC trends


In our 2015 Report, we noted that average TCC fell significantly in the wake of the CARD Act
and then stabilized. This was not only true overall, but also for each credit score tier. In that
same report, we also compared TCC on small business cards, which are not subject to many of
the relevant regulatory requirements of the CARD Act, to TCC on consumer general purpose
cards, which are subject to those rules. That comparison showed that TCC for consumer general
purpose cards had fallen in absolute terms in the years following implementation of the CARD
Act, and had also fallen relative to TCC on small business credit cards.6

4 Id.

5 The TCC metric was initially introduced in our 2013 Report, and has since been used in our 2015 Report, as well as
in other Bureau reports and research. See 2013 Report, at 19.

6 2013 Report, at 35-36; 2015 Report, at 80-82.

72 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 1: TOTAL COST OF CREDIT, ALL ACCOUNTS, 2016 (Y-14)

45%

30%

15%

0%
General purpose Private label
Superprime Prime Near-prime Subprime Deep subprime Overall

Based on Y-14 data analyzed for this report, individuals carrying debt on a revolving basis pay
the majority of fees and interest on credit card products. These revolving accounts generally
comprise more than 85% of balances in the Y-14 data, incur more than 70% of all fees, and pay
almost all interest charges.7 Consequently, as we have done in past studies, we also report the
cost of credit for these consumers.

7 Assessing the number of consumers who revolve credit is a difficult task. The loan-level data that we use are not
consumer level, so they can tell us the number of accounts in those data that revolve, but not the number of
consumers who revolve them. The CCP database does contain consumer-level data, but it does not clearly delineate
revolvers and transactors. The Board, however, reports that “[f]orty six percent of adults with a credit card report
that they are carrying credit card debt, and at least 55 percent carried a balance at least once in the prior year.”
Federal Reserve Board, Report on the Economic Well-Being of U.S. Households in 2016, at 2 (May 2017), available
at https://www.federalreserve.gov/publications/files/2016-report-economic-well-being-us-households-201705.pdf.
In a separate study, the Board also reports that 44% of families had credit card balances in 2016. See Federal
Reserve Board, Changes in U.S. Family Finances from 2013 to 2016: Evidence from the Survey of Consumer
Finances, at 8 (Bulletin Vol. 103, No. 3, 2017), available at https://www.federalreserve.gov/publications/‌
files/scf17.pdf.

73 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 2: TOTAL COST OF CREDIT, REVOLVING ACCOUNTS, 2016 (Y-14)

45%

30%

15%

0%
General purpose Private label
Superprime Prime Near-prime Subprime Deep subprime Overall

Figure 2 shows total cost of credit specifically for accounts revolving a balance. The consumer
cost of private label credit remains consistently higher than general purpose at all credit score
tiers. Our current data show that TCC, both overall and for consumers revolving balances, has
remained broadly stable over 2015 and 2016. This remains the case for both general purpose
and private label accounts, and across all credit score tiers. Overall, the available indicators
show that the cost to consumers of using credit cards has not increased materially since we last
reported on it in 2015.8 Exceptions to this are generally increases in interest rates attributable to
the variable interest rate exception, which we discuss in further detail below.

3.1.2 TCC composition


It is useful not only to measure the absolute level of TCC, but also its structure. Consumers pay
for their use of credit cards in two primary ways—interest charges and fees, the latter of which
can take a number of common forms. Whether and how much a consumer pays in either fees,

8 2015 Report, at 77. Some commenters claim that the CARD Act has increased the cost of consumer credit. See, e.g.,
ABA Comment Letter, at 6; AFSA Comment Letter, at 6-8. Such claims are either about one metric such as APR, but
not overall cost to consumers, or are about a counterfactual claim that is particularly difficult to evaluate—that costs
to consumers are higher than they would have been absent the CARD Act. Id.

74 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


interest, or both varies substantially based on their usage. For example, consumers could pay
more or less in fees or interest charges depending whether they carry non-promotional balances
from month-to-month, fail to pay their monthly credit card bills on time, use cash advance
features, or acquire accounts which assess annual fees. “Revolvers” are consumers that carry
balances from month-to-month, thereby incurring interest charges if the interest rate applicable
to those balances is greater than 0%. “Transactors,” by contrast, incur no interest charges on
purchases because they pay their purchase balance on time every month. They may, however,
still incur fees, such as annual fees. They can also incur interest charges on certain balances,
such as cash advance balances, which incur interest charges from the date they are made.

FIGURE 3: TOTAL COST OF CREDIT, 2016 (SHADED AREA REPRESENTS FEES, SOLID AREA
REPRESENTS INTEREST CHARGES) (Y-14)

45%

30%

15%

0%
General purpose Private label

Superprime Prime Near-prime Subprime Deep subprime Overall

As shown in Figure 3, general purpose cards have a TCC of 14% on an annualized basis, of which
only two percentage points comes from fees. Private label cards cost consumers 21% annualized,
of which six percentage points comes from fees. The gap between private label and general
purpose TCC is substantial. In fact, consumers with deep subprime credit scores experience a
lower cost of credit on general purpose cards than consumers with near-prime scores do when
using private label cards.

Overall, about 18% of the total cost to consumers of using credit cards is comprised of fees, while
the remaining 82% comes from interest charges. This composition, however, varies across credit
score tiers, between general purpose and private label cards, and between accounts that revolve

75 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


credit and those that solely transact. For example, general purpose cardholders with deep
subprime credit scores saw fees as a share of TCC fall from 34% in 2015 to 31% in 2016, while
general purpose cardholders with prime and superprime credit scores experienced no change.
On the private label side, fees represented about one-quarter of TCC for consumers with
superprime scores in 2016, while fees accounted for about half of TCC for consumers with deep
subprime credit scores in that same year. In fact, deep subprime private label accounts in our Y-
14 data show close to the same cost of credit—and the same mix of overall fees and interest
charges—we reported consumers experiencing when using general purpose “subprime
specialist” products in our 2015 Report.9

FIGURE 4: TOTAL COST OF CREDIT, REVOLVING ACCOUNTS, 2016 (SHADED AREA REPRESENTS FEES,
SOLID AREA REPRESENTS INTEREST CHARGES) (Y-14)

45%

30%

15%

0%
General purpose Private label

Superprime Prime Near-prime Subprime Deep subprime Overall

9 However, the composition of fees is substantially different between the two types of accounts. See 2015 Report, at 64.
We compare private label accounts to subprime specialist accounts in more detail in Section 6.

76 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


3.2 Interest rates
For consumers who routinely revolve a balance, periodic interest charges are generally the
largest component of the cost of using a credit card. In this section, we review overall trends for
consumer credit card interest rates. We also examine consumer costs associated with variable
rate credit cards.

3.2.1 Interest rates generally

RETAIL APR
The interest rate applicable to credit card accounts is also referred to as the “annual percentage
rate,” or APR.10 The interest rate applicable to most balances on a consumer’s card, including
the balance generated by purchases, is often referred to as the “retail APR” or “purchase APR.”11
Issuers calculate monthly interest charges on revolving accounts using a number of broadly
similar methods of applying APRs to account balances. Since, as noted above, interest charges
are the largest driver of costs to consumers, trends in non-promotional retail APRs are an
important metric in understanding the costs consumers incur when revolving a balance on
credit cards.

Average retail APR increased for general purpose cards for consumers in all credit score tiers
from 2015 to 2016. Overall average retail APR increased on such cards from 16.6% to 17.2%, at
least in part because of increases in the prevailing prime rate, which is a major driver of credit
card interest rates, and which we discuss in more detail in Section 3.2.2. Average retail APR for

10 For closed-end loan products, the APR captures certain fees as well as the interest rate. However, for open-end
credit, including credit cards, the APR is defined by Regulation Z to be equal to the interest rate.

11 Credit card accounts can have multiple concurrent and overlapping balances with different interest rates applicable
to them. This can be because of a lower promotional interest rate that is applicable to some but not all of the
balances a consumer incurs on the account, such as a promotional rate on a balance transfer or a deferred interest
promotion. It can also be because some balances are subject to a higher interest rate, such as those generated by a
cash advance. For more on balance transfers, see Section 5.3; for more on deferred interest promotions, see Section
3.5.

77 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


private label cards was comparatively stable, increasing from 23.7% to 23.9%, reflecting modest
increases for consumers in all credit tiers.

FIGURE 5: AVERAGE RETAIL APR, OPEN NON-PROMOTIONAL ACCOUNTS, 2016 (Y-14)12

25%

20%

15%

10%

5%

0%
General purpose Private label
Superprime Prime Near-prime Subprime Deep subprime Overall

Private label credit cards experience markedly higher interest rates generally, not just within
credit score tiers but across the board. Furthermore, while the average retail APR for open
general purpose accounts varies substantially by credit score tier, as evidenced in Figure 5, that
variance is not observed on private label accounts. The average retail APR for general purpose
cards held by consumers with deep subprime credit scores is even lower than that of private
label cards held by consumers with superprime credit scores.13 As we discuss in more detail
below, however, private label issuers can sometimes replicate the effects of risk-based pricing,
through means such as deferred interest promotions.

12 Average retail APR excludes credit cards for which the retail APRs, as reported in Y-14 data, are below 4%. Rates
that low likely represent short-term promotions.

13 There are a number of potential explanations for this. An important one is that some merchants strongly prefer not
to use upfront differentiated pricing with their customers, which makes rates on these cards more uniform. The
higher level of late payment rates and credit default rates experienced by private label cards is another, risk-based
reason for higher APRs on private label cards. In addition, only one issuer typically offers a given merchant’s private
label cards. That lack of competition may also push rates higher on private label cards.

78 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


EFFECTIVE INTEREST RATES
While retail APRs are a useful barometer of issuer pricing strategies, industry observers often
calculate the “effective interest rate” (“EIR”) to measure the effect of interest charges. Retail
APRs have a number of limits as a measure of consumer costs, which persist even when the
analysis is restricted to only revolving accounts.14 EIR compensates for these deficiencies by
totaling any interest charges actually assessed, then computing an annualized figure using cycle-
ending balances as a denominator. Figure 6 shows the EIR in 2016 for all revolving accounts by
the credit score of the account holder. It covers promotional and non-promotional balances as
well as balances subject to the cash advance interest rate, thereby capturing the effective interest
rates that consumers experience when using their card accounts to revolve balances.

FIGURE 6: EFFECTIVE INTEREST RATE, REVOLVING ACCOUNTS, 2016 (Y-14)

25%

20%

15%

10%

5%

0%
General purpose Private label
Superprime Prime Near-prime Subprime Deep subprime Overall

In 2015 we reported that there had been a slight decline in effective interest rates since
implementation of the CARD Act began in the first quarter of 2010. Overall, this remains true.

14 This is for two primary reasons. First, as noted previously, consumers may have many balances on a single account,
not all of which are subject to the retail APR. Second, consumers may have different patterns of payment and
spending within a cycle. Due to the way most credit card issuers calculate interest charges, this means that two
accounts subject to the same retail APR that conclude a cycle with identical balances may nevertheless properly be
assessed different interest charges as a result of differences in the composition of those balances over the course of
the cycle.

79 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


Despite modest increases in retail APRs, the average cardholder revolving a balance is not
paying a higher effective interest rate in 2016 than in 2015. This divergence between retail and
effective APRs could arise in several possible ways, such as a greater share of balances being
subject to lower promotional APRs, or a smaller share of balances being subject to higher APRs
such as penalty APRs. However, we have begun seeing increases in EIR among lower credit
score tiers. Cardholders revolving a balance in below-prime tiers saw their EIR rise from 16.8%
in 2015 to 17.3% in 2016.

MINIMUM FINANCE CHARGES AND TRAILING INTEREST


Our prior report discussed practices and outcomes relating to the assessment of minimum
finance charges.15 Minimum finance charges are assessed to consumers when the interest charge
that would otherwise be assessed pursuant to the account’s interest rate (or rates) is less than
some amount stipulated in the cardholder agreement. When this occurs, that stipulated amount,
which is almost always one of $0.50, $1, $1.50, or $2, is assessed instead.

Data available to the Bureau show that overall patterns in the scope and distribution of
minimum finance charges have not changed significantly from our prior report. Most such
charges are assessed to private label accounts, and most are assessed by a small group of issuers.
The charges continue to be assessed frequently, with total minimum finance charges continuing
to exceed $100 million annually.

In our 2015 Report, we noted the possibility that minimum finance charges may be associated
with incidents of “trailing interest” that also entail further consumer risk.16 Minimum finance
charges are associated with a large share, though not a majority, of cycles in which trailing
interest is charged. Preliminary research further suggests that trailing interest incidents are
associated with late fees with substantial frequency.

15 See 2015 Report, at 128-130.

16 2015 Report, at 128. In such incidents, a consumer who had been revolving a balance makes no purchases in a
given cycle and pays their balance in full by the due date—but is nevertheless assessed an interest charge (“trailing
interest”) for the cost of revolving through the date of payment. That interest charge must be paid in the following
cycle.

80 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


3.2.2 Repricing and variable rates
Prior to the CARD Act, credit card issuers were generally permitted to increase or decrease the
interest rate on consumer credit cards—and often did so. Issuers could establish triggers that
resulted in or permitted immediate rate increases (“upwards repricing”), not just on new
purchases but also on existing balances.17 Price change triggers included conduct related to the
credit card account—like a single late payment—but could also be based on the consumer’s
credit conduct on unrelated credit accounts. Credit card issuers were even permitted to change
the interest rate on existing balances independent of any particular triggering action by the
consumer.

The CARD Act did not prohibit all interest rate changes to existing accounts, but it limited the
conditions under which issuers could reprice both new and existing balances, and established
new procedural steps for permitted rate increases.18 Our prior reports found that once the CARD
Act became fully effective, upwards repricing declined to an average quarterly rate of 1.5% on
active accounts in 2012.19

VARIABLE RATE CHANGES


The CARD Act permits rate increases on existing balances only in limited circumstances. One
such circumstance is where the credit card agreement provides for an increase that is based on a
change in an underlying linked rate that is outside the issuer’s control and available to the

17 Prior to the passage of the CARD Act, the Board, along with several other regulators, had adopted a rule restricting
such retroactive price changes under its authority to prohibit unfair and deceptive credit card practices. See Unfair
or Deceptive Acts or Practices, 74 Fed. Reg. 5498 (Jan. 29, 2009).

18 Some commenters contended that the limitations placed on issuers’ abilities to price risk have led to higher initial
rates. They also contended that the same restriction causes issuers to place more reliance on using reactive credit
line changes rather than interest rates to control for credit risk. See, e.g., ABA Comment Letter, at 4-5. We discuss
how credit line changes may relate to risk management in Section 4.2.5.

19 In our 2013 Report, we noted why certain data limitations make it difficult to establish a baseline regarding
repricing rates prior to the recession, which drove repricing rates even higher than the prior norm. It is nevertheless
the case that even the most conservative estimates show repricing rates declining by nearly two-thirds following the
CARD Act’s limits on repricing. See 2013 Report, at 27-28.

81 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


general public.20 Terms and conditions on many credit card accounts—both before and after the
CARD Act—include a variable rate where the applicable interest rate varies with changes to a
linked rate. In 2017, more than nine-tenths of general purpose revolving balances and more
than half of private label revolving balances are subject to variable rates.21

The variable rate exception allows issuers to adapt to shifts in macroeconomic and credit market
conditions.22 By allowing issuers to pass along their cost-of-funds risk to consumers, the variable
rate exception to the CARD Act restrictions on repricing may enable issuers to lend when they
otherwise would not do so or to set prices without the need to hedge for potential increases in
the cost of funds over time, thereby expanding access to credit.

As Figure 7 shows, account repricing continues to occur at the lower frequency that has become
the new post-CARD Act norm—except during those periods in which variable rate increases are
triggered. At those points, repricing activity is very high, corresponding to the high share of
accounts subject to variable interest rates. In December of 2015, the prime rate increased, and
we observe corresponding spikes in repricing rates in the fourth quarter of 2015 and the first
quarter of 2016. A similar increase in December of 2016 corresponds to a similar spike. Issuers
we surveyed reported that well over 200 million accounts were subject to variable rate repricing
in connection with that increase.

20 15 U.S.C. § 1666i-1(b)(2) (excepting “an increase in a variable annual percentage rate in accordance with a credit
card agreement that provides for changes in the rate according to operation of an index that is not under the control
of the creditor and is available to the general public.”).

21 In our 2015 Report, we found that the linked rate chosen by issuers whose agreements we examined was universally
the Wall Street Journal’s “prime” rate. 2015 Report, at 83. Some issuers not surveyed by us in 2015 use other rates.

22 Several commenters concur. See, e.g., ABA Comment Letter, at 11; Auriemma Comment Letter, at 14-15.

82 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 7: QUARTERLY INCIDENCE OF UPWARDS APR REPRICING, ACTIVE ACCOUNTS (Y-14)

50%

40%

30%

20%

10%

0%
2015Q1 2015Q2 2015Q3 2015Q4 2016Q1 2016Q2 2016Q3 2016Q4
General purpose Private label

Excepting those across-the-board increases, repricing rates for general purpose and private label
accounts averaged 1.8% and 2.0% respectively in 2015 and 2016—higher than the low points
observed in the years immediately following the implementation of the CARD Act, but still far
below any level observed or reported for the pre-CARD Act period.

VARIABLE RATE COSTS


The data strongly suggest that interest rate increases pursuant to the variable rate exception are
likely to be the primary driver in how consumers’ cost of card credit changes in the coming
years. As a result, it is important to understand and anticipate the contours of likely rate
increases—and to help consumers and market observers be informed about them.

As noted, issuers that use variable rate pricing mostly rely on The Wall Street Journal’s U.S.
prime rate. That rate has historically tended to parallel the federal funds rate, a key
macroeconomic and monetary policy indicator. Figure 8 shows how rates have begun increasing
modestly since 2015, following a sustained period of low rates without modern precedent.23

23More extensive data from the Board, not depicted here, show that since 1954 there has been no parallel to the
seven-year stretch of nearly-0% interest rates that prevailed from 2009 through 2015.

83 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 8: FEDERAL FUNDS RATE COMPARED TO WSJ PRIME RATE24

10%

8%

6%

4%

2%

0%

WSJ Prime Rate Federal funds rate

In our last report, we observed that, should underlying rates continue to increase, revolving
consumers would be exposed to cost increases on their existing balances. For example, a
consumer revolving $15,000 in credit card debt would face an additional monthly interest
charge of roughly $12.50 following a single percentage point increase in rates. This would
translate to nearly $150 in additional interest charges annually.

The likelihood of such an increase in consumers’ variable rates appears high.25 Since our last
report, the prime rate has increased by 125 basis points, or 1.25%. The Federal Open Market
Committee (“FOMC”) expects rates to continue to rise, with median projections of a roughly 65
basis point increase each year over the next two years.26

24Federal Reserve Bank of St. Louis, Effective Federal Funds Rate, https://fred.stlouisfed.org/series/fedfunds (last
visited Dec. 12, 2017); Wall Street Journal, Market Data Center, http://www.wsj.com/mdc/public/page/2_3020-
moneyrate.html (last visited Dec. 15, 2017).

25One trade group commenter agreed, stating its “members expect higher federal interest rates to put upward
pressure on borrowing costs for variable accountholders in the coming year.” ABA Comment Letter, at 11.

26Federal Reserve Board Members and Presidents, Economic Projections Under Their Individual Assessments of
Projected Appropriate Monetary Policy, (Dec. 2017), available at https://www.federalreserve.gov/‌
monetarypolicy/files/fomcprojtabl20171213.pdf.

84 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


As of mid-2017, approximately $672 billion in revolving balances on general purpose cards and
$48 billion of those on private label accounts are subject to variable rate repricing. A single
percentage point increase in each rate would carry an estimated annual cost to consumers of
over $7 billion. Even a 25 basis point increase in interest rates would likely carry an annual
average cost of nearly $2 billion to consumers who revolve credit card debt. Should FOMC
projections prove broadly accurate, and assuming that balances do not decline in response to
rate increases, consumers revolving balances subject to variable rates will be assessed an
additional $24.5 billion in interest charges over the next three years absent any change to their
revolving practices. Of course, as prices rise, consumption may fall, with potential implications
for interest charge costs.27

FIGURE 9: PROJECTED PATH OF MIDPOINT OF THE FEDERAL FUNDS TARGET RATE RANGE (FOMC)

4.5%
4.0%
3.5%
3.0%
2.5%
2.0%
1.5%
1.0%
0.5%
0%
2017 2018 2019 2020 Beyond
Range of projections Central tendency Median projection

VARIABLE RATE DISCLOSURES AND PRACTICES


Before the prime rate increased in December 2015, it had been nearly seven years since the
benchmark changed in either direction. It was also during that seven-year window that the

27See Alexei Alexandrov, Özlem Bedre-Defolie, and Daniel Grodzicki, Consumer Demand for Credit Card Services,
(Oct. 13, 2017), available at https://sites.google.com/site/danieljosegrodzicki/system/app/pages/search?‌scope=‌‌
search-site&q=Consumer+Demand+for+Credit+Card+Services.

85 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


CARD Act was passed and implemented, dampening the rate of repricing. This means that, until
December 2015, a substantial number of consumers spent years using credit cards without
experiencing any upward change in variable interest rates. Outside of the expiration of
promotional rates, in fact, many consumers newer to credit cards had likely never experienced
an interest rate increase.

Under current rules, issuers do not need to call out variable rate changes with any particularity
on monthly statements or on any other disclosure associated with account servicing.28 Some
issuers, nonetheless, have voluntarily chosen to provide an explanation of variable rate changes
with monthly statements.29 Others have not.

Issuer practice also varies with respect to the timing of variable rate changes. As noted by some
market observers, a number of issuers charged increased variable rates on balances even before
the prime rate increased.30 That is because most large issuers impose variable rate changes back
to the beginning of any billing cycle in which the rate changes, whereas only a minority do so
from the billing cycle after the rate changes. This means that some consumers may see a
variable rate change apply to their balances nearly 60 days earlier than other consumers, even
though the rate change is based on the same underlying change in the prime rate. Of course, in a
declining interest rate environment, the current majority practice would benefit most
consumers by moving rate declines forward.

28Issuers are required to note applicable rates in the mandated disclosure of interest charge calculations that must be
included in the billing statement. 12 C.F.R. § 1026.7(b)(4). On its face, however, this does not indicate change (other
than by a side-by-side comparison with a prior statement) and, by the same token, it does not explain the change at
all.

29In response to a formal Bureau inquiry, no surveyed issuer reported sending any proactive communication to
consumers to notify them of—and explain—a variable rate change. Even so, the Bureau has observed several in-
market servicing disclosures of variable rate changes to consumers. In response to our survey, issuers did report
that their customer service representatives are prepared to explain variable rate changes to any consumer who calls
and asks.

30See, e.g., Fred Williams, Did Banks Jump the Gun On Card Rate Hikes?, creditcards.com Blog (Jan. 30, 2016),
https://blogs.creditcards.com/2016/01/did-banks-jump-the-gun-on-card-rate-hikes.php.

86 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


3.3 Fees
3.3.1 Total fees
Fees are the second largest cost to consumers from using credit cards. Collectively, fees
represent just under one-fifth of consumer costs. The CARD Act did not prohibit any credit card
fees outright, but it imposed a number of substantive controls on both the amounts of certain
fees consumers could be charged and the conditions under which certain fees could be imposed.
These controls have been associated with a substantial decline in overall fee costs to consumers.
Total fees as compared to all account balances remained below 3% in 2015 and 2016, in line with
the levels seen in our prior report, and, as reported there, below pre-CARD Act levels.31

Figure 10 shows the distribution of fees across credit tiers on revolving accounts. In 2016,
consumers with lower credit scores paid less than half of all general purpose fees, and less than
three-fifths of private label fees.32

FIGURE 10: SHARE OF TOTAL FEES INCURRED BY REVOLVING ACCOUNTS, 2016 (Y-14)

Private label

General purpose

0% 20% 40% 60% 80% 100%


Superprime Prime Near-prime Subprime Deep subprime

31 2015 Report, at 60-61.

32 Over three-fifths of all fees, general purpose and private label, were borne by consumers with lower scores in the
pre-CARD Act era. See 2015 Report, at 62. The shift is at least in part the result of a change in the consumer credit
profile overall, which we discuss in more detail in Section 1.3.2.

87 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


Fees on revolving private label card accounts, relative to balances, are much higher than fees on
revolving general purpose card accounts, 5.8% as compared to 1.8%.33 These data are shown in
Figure 11.

FIGURE 11: TOTAL FEES INCURRED AS AN ANNUALIZED % OF CYCLE-ENDING BALANCES, REVOLVING


ACCOUNTS, 2016 (Y-14)

20%

15%

10%

5%

0%
General purpose Private label
Superprime Prime Near-prime Subprime Deep subprime Overall

Figure 11 also shows that consumers with lower credit scores still incur more fees, relative to
their balances on revolving accounts, than consumers with higher scores. When considering
revolving accounts, this phenomenon appears more pronounced for private label. The relative
disparity across credit score tiers, however, is not actually higher for private label accounts.
Rather, similar disparities are exaggerated by higher overall fee costs relative to balances. To
highlight the most extreme example, in both the general purpose and private label space, deep
subprime revolving accounts experience a fee cost relative to their balances that is 6.6 times the
equivalent relative cost that superprime accounts experience. For consumers with deep

33This reinforces our finding that the higher relative total cost of credit for private label cards is partly the result of
higher costs associated with fees on those cards. As noted above in Section 2.3.1, average private label balances are
generally lower than general purpose balances, which means that, shown as an annualized percent of balances, a
$27 late fee will often result in a higher cost of credit in the private label space than the same $27 fee would in the
general purpose space.

88 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


subprime scores, that reflects a fee cost equivalent to about 8% of balances on revolving general
purpose accounts—but over 20% on revolving private label accounts.

For transacting accounts, as reflected in Figure 12, the dynamic is reversed. The differences in
fee burden across credit tiers are more pronounced for general purpose than for private label. As
we discuss in more detail below, this is because many general purpose accounts incur annual
fees, which are mostly absent from private label accounts.

FIGURE 12: TOTAL FEES INCURRED AS AN ANNUALIZED % OF CYCLE-ENDING BALANCES, TRANSACTING


ACCOUNTS, 2016 (Y-14)

20%

15%

10%

5%

0%
General purpose Private label
Superprime Prime Near-prime Subprime Deep subprime Overall

3.3.2 Fee composition


There are significant differences in fee composition between private label and general purpose
credit cards. As shown in Figure 13, a number of different fees are prevalent on general purpose
cards, including annual fees, cash advance fees, and late fees. But fully 95% of all fees charged
on private label cards are late fees, with debt suspension fees comprising almost the entire
remainder. Private label cards only rarely assess annual fees. Furthermore, because balance
transfers and cash advances are generally unavailable on private label cards, these accounts
have almost no cash advance or balance transfer fees.

89 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 13: SHARE OF TOTAL FEES COSTS INCURRED BY TYPE OF FEE, 2016 (Y-14)

Private
label

General
purpose

0% 20% 40% 60% 80% 100%


Late fee Annual fee Balance transfer fee
Cash advance fee Debt suspension fee Other fees

Private label and general purpose fee composition has generally been stable since our last
report. There is one exception.34 Our 2015 Report noted that debt suspension or cancellation fee
incidence had already fallen substantially in recent years, from nearly one in five of all accounts
incurring that fee quarterly prior to the CARD Act to just one in 17 by 2015.35 Over the following
year, debt suspension fee volumes continued to decline from 5.8% of all general purpose fees
assessed to just 3.3%. Private label debt suspension fee volumes also experienced a decline, from
7.0% of all private label fees assessed in 2015 to 5.2% in 2016. Relative to balances, the cost to
consumers of debt suspension fees has fallen by over two-fifths on general purpose cards and
one-quarter on private label cards since 2015.

3.3.3 Annual fees


As used in this report, an “annual fee” refers to any general participation or maintenance fee
assessed to the consumer as a condition of holding the account, regardless of any pattern of
usage. Annual fees are a general purpose account phenomenon. Less than one-quarter of 1% of
private label accounts in the data we reviewed were assessed annual fees in 2015 and 2016.

34There was also a small increase in the annual fee share, from 29.1% of all fees assessed in 2015 to 31.3% in 2016.
This reflects increases both in the average annual fee amount and in the prevalence of annual fee cards, which we
cover in Section 3.3.3.

35 2015 Report, at 72.

90 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 14: ANNUAL FEE PREVALENCE, ACTIVE GENERAL PURPOSE ACCOUNTS (Y-14)

50%

40%

30%

20%

10%

0%
2015 2016
Superprime Prime Near-prime Subprime Deep subprime Overall

Despite recent changes in prevalence for some tiers, the prevalence of annual fees decreases
with credit score. Annual fee prevalence has remained steady for prime and superprime credit
tiers, but has fallen among consumers with lower credit scores. Consumers with deep subprime
credit scores paid annual fees 49% of the time in 2014. Over 2015 and 2016, as shown in Figure
14, that rate has fallen to 44% and 38%, respectively. Despite these developments, the share of
general purpose deep subprime accounts assessed annual fees is still more than twice the
parallel share for general purpose superprime accounts.

FIGURE 15: SHARE OF ACTIVE GENERAL PURPOSE ACCOUNTS ASSESSED AN ANNUAL FEE, BY
REVOLVE STATUS AND REWARDS FEATURE, 2016 (Y-14)

40%

30%

20%

10%

0%
Superprime Prime Near-prime Subprime Deep subprime
Transactor rewards Transactor non-reward Revolver rewards Revolver non-reward

Across credit tiers, accounts with annual fees show a range of payment behaviors and rewards
penetration. As shown in Figure 15, annual fee-paying cardholders with superprime credit
scores overwhelmingly hold rewards cards, and are more likely to transact than revolve.

91 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


Conversely, consumers in the lowest three score tiers that pay annual fees generally do so for
accounts that do not have a rewards feature, and these consumers are more likely to use their
accounts for revolving than transacting. Revolving is increasingly predominant as credit profile
declines and annual fee penetration deepens. These patterns suggest that the annual fees on
lower credit score accounts often function as upfront payments for credit rather than for
rewards.

For consumers with higher scores, by contrast, annual fees generally function as payment for
access to particularly lucrative rewards programs. This gap is most evident when comparing
superprime accounts with all others, as shown in Figure 16. In 2016, some 88% of annual fee-
paying superprime accounts offered rewards, but less than half of non-superprime accounts
paying annual fees did. Over half of all superprime general purpose accounts with an annual fee
are rewards accounts that transact, while roughly 15% of comparable non-superprime accounts
transact. From the issuer perspective, annual fees appear to offer a flexible means to help
structure a wide range of credit card products to meet a variety of use cases.

FIGURE 16: DISTRIBUTION OF REWARDS AND REVOLVE STATUS AMONG ACTIVE GENERAL PURPOSE
ACCOUNTS WITH AN ANNUAL FEE, 2016 (Y-14)

Superprime

Not superprime

0% 20% 40% 60% 80% 100%


Transactor rewards Transactor non-reward Revolver rewards Revolver non-reward

General purpose cardholders with lower credit scores are less likely to pay annual fees in 2016
than in 2015, but those who do are increasingly receiving rewards. Annual fee-paying consumers
with lower credit scores held rewards cards 45% of the time in 2016, as compared to 36% in
2015 and 31% in 2014. The distribution of transactor and revolver status did not change
appreciably for such annual fee-paying consumers between 2014 and 2016. However, for the
roughly 85% of annual fee-paying consumers with lower credit scores who did revolve, 44% did
so while earning rewards, as compared to 35% in 2015 and 29% in 2014.

92 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


General purpose cardholders with superprime credit scores demonstrated a similar trend
toward rewards while keeping repayment behavior mostly constant, though, in contrast to
consumers with lower scores, annual fee prevalence has not changed for these cardholders.
Annual fee-paying consumers with superprime credit scores revolved a balance 40% of the time
in 2016, as compared to 42% in 2014 and 2015. Annual fee-paying consumers with superprime
credit scores held rewards cards 88% of the time in 2016, as compared to 85% in 2015 and 84%
in 2014. Among the roughly 40% of annual fee-paying consumers with superprime credit scores
who revolved a balance in 2016, 83% did so using a rewards card, as compared to 80% in 2015
and 78% in 2014.

3.3.4 Dynamics of late fees


Issuers generally assess a late fee to consumers who do not make at least their minimum
payment by the monthly due date. These fees, along with other “penalty” fees, were targeted by
specific CARD Act provisions, and the dollar amount of such fees is now subject to CARD Act
restrictions. In general, these fees have to be “reasonable and proportional.”36 There is a
regulatory “safe harbor” for specific fee amounts, which the Bureau adjusts for inflation
annually.37 Initially, the safe harbor was set at $25 for an initial late fee and $35 for a second late
fee within six billing cycles of a prior late fee. In 2017, the safe harbors were $27 and $38
respectively.38

Since 2015 late fees have increased slightly, as shown in Figure 17. They nevertheless remain
substantially below pre-CARD Act levels.39 Since 2014, which was the first year in which a
change from the original penalty fee safe harbors came into effect, most large issuers have taken
advantage of the increased safe harbors by increasing their fee amounts. However, issuer

36 15 U.S.C. § 1665d(a).

37Regulation Z requires the Bureau to annually adjust the safe harbors to reflect changes in the Consumer Price Index.
12 C.F.R. § 1026.52(b)(1)(ii)(D).

38 12 C.F.R. § 1026.52(b)(1)(ii); Comment 52(b)(1)(ii)-2.

39 See 2015 Report, at 69.

93 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


practices appear to vary by the speed and consistency with which they implement increases
across their products and portfolios. In combination with the two-tier safe harbor, this makes it
challenging to assess what drives changes in average late fee amounts overall.

FIGURE 17: AVERAGE LATE FEE (Y-14)

$29

$28

$27

$26
2015Q1 2016Q1 2017Q1

Consumer accounts in the Y-14 dataset incur an average of 0.16 late fees per quarter. According
to our prior report, this is down from pre-CARD Act levels of about 0.25 per quarter.40 More
detailed data are in Figure 18 below. The CARD Act contained provisions specifically aimed at
depressing late fee incidence, by limiting the circumstances in which a payment can be deemed
late and making due dates more predictable.41 The decrease in late fee incidence, however,
cannot be credited solely to the CARD Act. Improvements in the economic outlook, the changing
credit risk composition of accounts, and potentially the advent of new digital account servicing
tools have likely also contributed to the decrease in late fee incidence.42

40 2015 Report, at 69.

41 See 15 U.S.C. § 1637(o)(2) (prohibiting issuers from considering a payment as late if the payment due date was on a
date on which the issuer does not receive or accept payments by mail and the payment was received by mail on the
next business day after the due date); 15 U.S.C. § 1637(o)(1) (requiring that the payment due date be the same day
each month).

42 We discuss digital account servicing in detail in Section 5.1.

94 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


FIGURE 18: AVERAGE NUMBER OF LATE FEES ASSESSED PER QUARTER, ACTIVE ACCOUNTS, 2016
(Y-14)

1.2

1.0

0.8

0.6

0.4

0.2

0
General purpose Private label
Superprime Prime Near-prime Subprime Deep subprime Overall

For most credit tiers, there is little-to-no difference between the frequency of late fees across
general purpose and private label credit cards. However, accounts held by consumers with deep
subprime credit scores record a significant gap in this respect. On average, 1.1 late fees are
assessed on a private label card every quarter, a frequency 30% greater than the comparable
general purpose incidence. Of course, consumers who pay late will see this reflected in their
credit scores, so late fee incidence will itself produce lower credit scores over time.43

Preliminary Bureau research suggests that a relatively small number of accounts make up a
large share of all late fees incurred, even as such high-incidence accounts appear to represent a
small share of those accounts that have been assessed at least one late fee in their lifespan. The
Bureau intends to work with issuers and other providers and market participants to better
understand what innovations could help consumers avoid paying late, benefiting both
themselves and their creditors. Some issuers report achieving significant progress in developing
such innovations, and we may look more closely at this issue in our next report.

43It is not immediately clear, however, why there should be a difference between late payment rates on private label
and general purpose cards among cardholders with deep subprime credit scores. Among consumers with deep
subprime credit scores, average credit scores are actually higher among private label cardholders than general
purpose cardholders.

95 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


3.3.5 Other fees
Other credit card fees not yet covered include fees for payments returned for insufficient funds
(“NSF fees”) or exceeding the credit limit (“overlimit fees”); balance transfer fees; and cash
advance fees, among others. Our previous report showed that such “other fees,” considered
collectively, have steadily declined in prevalence since 2008.44 The quarterly incidence of other
fees has continued to fall, from more than 11% in the first quarter of 2015 to 7.5% in the final
quarter of 2016. Detailed data on the incidence of other fees in 2016 are in Figure 19 below.

FIGURE 19: AVERAGE NUMBER OF OTHER FEES ASSESSED PER QUARTER, ACTIVE ACCOUNTS, 2016
(Y-14)

0.16

0.12

0.08

0.04

0
General purpose Private label
Superprime Prime Near-prime Subprime Deep subprime Overall

Declines in other fee incidence from the first quarter of 2015 through the final quarter of 2016
can be almost entirely attributed to the decline in the number of debt suspension fees assessed.
Such fees have been in decline for several years, and we observed that decline continuing
through 2016.

Overlimit fees were common before the CARD Act. As noted in our 2013 and 2015 Reports,
issuers generally stopped charging overlimit fees in the wake of the CARD Act’s implementation

44 2015 Report, at 71-72.

96 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


of an “opt-in” regime for such fees—even as issuers continued to allow overlimit transactions.
Overlimit fees remained almost nonexistent in 2015 and 2016.45

As evidenced by Figure 19, general purpose cards see more frequent assessments of other fees.
That is at least in part because such cards are more likely to offer balance transfer and cash
advance features, which are often accompanied by fees. Incidence of other fees varies based on
cardholders’ use of these card features, but also depends on which features are made available to
consumers and whether fees are charged for them. Balance transfer usage and cost to consumers
is covered at length in Section 5.3; cash advances are discussed briefly below.

3.4 Cash advances


Many general purpose credit cards allow consumers to obtain cash at an ATM or from a bank
teller. These “cash advance” features are distinct in several ways both from balances generated
by purchases as well as balances generated by balance transfers. Similar to balance transfers,
cash advances are typically accompanied by a fee, and subject to a separate “cash advance APR.”
Unlike balance transfers, cash advance APRs are typically higher than cards’ retail APRs. Cash
advance balances are usually not subject to any kind of grace period, meaning they begin
accruing interest at that higher APR at the point that the cash advance is taken. In this section
we discuss basic metrics of usage and cost for cash advances.

3.4.1 Cash advance usage


Consumers can effect cash advances through a variety of means. ATM withdrawals may be the
most well-known form of cash advance, but they are not the only form. Issuers may treat credit
card usage at certain merchants, such as casinos or online gambling sites, as cash advances. The

45We note in Section 5.4.3 that many issuers appear to have simply ceased assessing overlimit fees altogether, rather
than maintain an opt-in regime. A survey conducted by creditcards.com found only four of the 100 surveyed cards
charge over-limit fees. All four are business cards. See Sienna Kossman & Taylor Tompkins, 2017 Credit Card Fee
Survey: Consumers Catch a Break, creditcards.com (Aug. 9, 2017), available at http://www.creditcards.com/
credit-card-‌news/‌2017-card-fee-survey.php.

97 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


purchase of other legal tender like foreign currency or traveler’s checks, or the purchase of gift
cards or prepaid cards, may also be treated as cash advances. Cash advances may also be
incurred in the course of a deposit account transaction when that account is linked to a credit
card.46

With some seasonality, cash advance volume has remained steady over the past three years,
remaining roughly between $3 billion and $3.5 billion per quarter. This is shown in Figure 20
below. Roughly three-fourths of this volume has been generated by consumers with prime and
superprime credit scores. Overall, balances subject to cash advance rates made up 2.5% of total
cycle ending balances in 2016.

FIGURE 20: QUARTERLY CASH ADVANCE VOLUME, GENERAL PURPOSE ACCOUNTS (Y-14)

$3.5B

$3.0B

$2.5B

$2.0B

$1.5B

$1.0B

$0.5B

$0
2014 2015 2016 2017
Superprime Prime Near-prime Subprime Deep subprime No score

Accounts held by consumers with lower credit scores experience higher rates of cash advance
use than do those held by consumers with higher scores. As shown in Figure 21, the quarterly

46Many transactions effectuated using a “convenience check” may also be treated as cash advances by issuers.
However, not all such transactions are so treated; as we discuss in Section 5.3.2, some may be treated similarly to
balance transfers. We therefore exclude convenience check transactions from this analysis (and from our analysis of
balance transfers in Section 5.3), acknowledging that we are likely excluding at least some volume that may be
identical or near-identical from the consumer perspective.

98 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


cash advance incidence has hovered around 6% for lower credit score accounts in recent years,
as compared to 1.5% for the superprime tier.47 Nevertheless, total cash advance volume in
absolute terms is heavier on accounts with higher scores.

FIGURE 21: QUARTERLY CASH ADVANCE INCIDENCE, GENERAL PURPOSE ACCOUNTS (Y-14)

8%

6%

4%

2%

0%
2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime Overall

3.4.2 Cash advance costs


As compared to annual and late fees, cash advance fees do not make up a large percentage of fee
revenue for the largest credit card issuers. In our prior reports, we noted that cash advance fee
volumes were lower than in 2008, but had stabilized from 2012.48 This remains true.

Issuers generally charge a fee on cash advances that is stated as a percentage of the cash advance,
often with a fixed floor if the cash advance is small. Issuers often make available only a portion
of each card’s total credit limit for cash advances. As outlined in Section 4.2.2, consumers with

47It is possible that in some cases consumers initiated multiple advances within a single cycle. The Y-14 data do not
allow us to disaggregate intra-cycle activity; we therefore elect to consider all cash advance activity within a cycle as
a single cash advance incident for the sake of simplicity.

48 2013 Report, at 89; 2015 Report, at 72.

99 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT


lower scores generally have lower credit lines. We would therefore expect lower cash advance
lines for consumers with lower scores from issuers that restrict cash advance lines. The result of
these policies is that consumers in lower credit tiers end up paying more as a percentage of their
cash advance volume than others due to the lower cash advance amounts requested and the
fixed floor fees. As seen in Figure 22, cash advance fees as a percentage of volume are higher for
accounts held by consumers in lower credit score tiers—twice as high in certain quarters, in fact,
as for accounts held by consumers with superprime scores.

FIGURE 22: QUARTERLY CASH ADVANCE FEES RELATIVE TO CASH ADVANCE VOLUME, GENERAL
PURPOSE ACCOUNTS (Y-14)

9%

6%

3%
2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime Overall

Apart from fees, cash advances may result in other costs to consumers that are not captured in
Figure 22. Cash advances are generally not subject to a grace period and accrue interest from the
transaction date. As reflected in cardholder agreements, cash advance interest rates tend to be
higher than those assessed on purchases on most general purpose cards.49

In addition, we note that some issuers allow credit cards to be linked to users’ checking accounts
for overdraft programs, and that balances incurred on the credit card account as a result of such
linkage are often treated as cash advances. The data available to the Bureau show that credit

49 Cash advance interest rates are captured in the effective interest rate charts in Section 3.2.1.

100 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
cardholders of banks that offer this feature tend to have a much higher level of cash advance
usage than consumers whose banks do not offer this feature.

3.5 Deferred interest promotions


3.5.1 Background and developments
Deferred interest (“DI”) promotions are a large and growing feature of the consumer credit card
market. Almost always associated with private label and retail co-brand cards, deferred interest
promotions are generally presented to consumers as an option to finance larger purchases.
Consumers are given a fixed period of at least six months during which all interest charges are
“deferred”—the issuer calculates how much interest the consumer would owe at the account’s
retail APR, but does not immediately charge it to the consumer.50 If the consumer pays down the
full promotional balance during the promotional period, the deferred interest is never charged,
and the consumer has gained the benefit of low-cost financing—almost always 0%.51 Conversely,
a consumer who does not pay in full during the promotional period will generally have the
deferred interest charged at the promotion’s conclusion. As noted above, in the case of private
label cards, the average retail APR is roughly 24%.52

50 Deferred interest promotions of less than six months are effectively prohibited by the CARD Act and Regulation Z.
15 U.S.C. § 1666i-2(b); 12 C.F.R. § 1026.55(b)(1); Comment 55(b)(1)-3. Otherwise, promotion length usually
increases with the size of the purchase. A new $500 appliance would likely be six or 12 months, while a $3,000
furniture purchase could offer a promotional period of several years.

51 In some cases, promotional balances are subject to an interest rate greater than 0% during the promotional period,
but by far the most common promotional interest rate is 0%.

52 Some market participants and industry trade groups, both financial and retail, pointed to deferred interest
promotions as providing value to consumers. See ABA Comment Letter, at 14-16; ASFA Comment Letter, at 2;
Auriemma Comment Letter, at 11; Boscovs Comment Letter, at 1-2; CBA/FSR Comment Letter, at 3; HFA Comment
Letter, at 1-2; Meineke Comment Letter, at 1-2; NRF Comment Letter, at 1-5; RILA Comment Letter, at 1-2; USCoC
Comment Letter, at 1-2. Consumer advocates as well as some other industry observers and market participants, by
contrast, have called for deferred interest to be banned or, barring that, substantially restructured. See, e.g.,

101 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
The Bureau’s 2015 Report analyzed the legal background and current status of deferred interest
promotions.53 It also reported findings from promotional-level data covering the full portfolios
of several large DI issuers over a period of several years.

3.5.2 Data and methodology


The data that support this report differ in kind from the data we reported on in 2015. There are
two critical differences. First, the data are aggregate, not account-level. Second, they encompass
a larger group of issuers. Overall, these changes broaden our picture of the deferred interest
market but do not allow us to track some of the particular measures that our last report covered.
However, while the 2015 Report data allowed analysis at the account level, the current data
facilitate the establishment of a broad industry benchmark that can track metrics consistently
over time.

3.5.3 Findings

PURCHASE VOLUME BY CREDIT SCORE AND MERCHANT TYPE


Deferred interest promotions remain generally popular with consumers.54 Total purchase
volume, as shown in Figure 23, was over $50 billion in 2016, a 9% increase from the prior year.
Growth was spread relatively evenly across credit tiers, with one exception: consumers with
deep subprime scores saw aggregate purchase amounts decline slightly from 2015 to 2016.
Consistent with our previous report, we find that consumers with higher credit scores comprise
the bulk of deferred interest purchase activity.

Consumer Action Comment Letter, at 1-2; NCLC Comment Letter, at 1-5; Affirm Comment Letter, at 1-6; see also
Alina Comoreanu, 2017 Deferred Interest Study: Which Retailers Use It?, WalletHub Blog (Nov. 2, 2017),
https://wallethub.com/edu/deferred-interest-study/25707. While not calling for any policy changes, one large
retailer also transitioned away from offering deferred interest promotions earlier this year, citing complexity and
unpredictability. See Daniel Eckert, We’re Taking a New Approach to Our Credit Card – Here’s Why, Walmart
Today Blog (May 4, 2017), https://blog.walmart.com/business/20170504/were-taking-a-new-approach-to-our-
credit-card-heres-why.

53 See generally 2015 Report, at Section 6.

54 This point is noted by several trade groups. See, e.g., HFA Comment Letter, at 1-2.

102 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 23: TOTAL PURCHASE VOLUME ON DEFERRED INTEREST PROMOTIONS (ADI)

$50B

$40B

$30B

$20B

$10B

$0
2015 2016
Superprime Prime Near-prime Subprime Deep subprime No score

Deferred interest promotions are generally used to finance larger purchases. As a result, they
tend to be used most at merchants that specialize in offering larger-ticket goods or services.
Figure 24 shows that four-fifths of all deferred interest dollars are spent at merchants that
specialize in five specific product or service categories.55 The remainder (represented by the
“Other” bar in Figures 24 and 25) is spent either at merchants that specialize in other types of
goods or services, or at merchants without a clear specialization. The latter includes department
stores and shopping channels, where many of the actual products offered and sold may fall
under one or more of the five enumerated categories. The actual share of spending on those
types of goods and services, therefore, may be even higher than the merchant share shown
below may imply.

55Two caveats apply. First, the merchant classifications used here were provided by issuers, and we cannot be certain
that they are completely constant from issuer to issuer. Second, these data classify merchants, not the actual goods
and services bought. However, our market research suggests that, in most cases, most merchandise sold by the
merchants that fall into our five enumerated categories would be categorized as falling into that same category—e.g.,
most goods and services sold by “home improvement” merchants would be “home improvement” goods and services.
An exception may be larger appliances, such as dishwashers and refrigerators, sold by “electronics” merchants
which could be considered “home improvement” goods and services.

103 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 24: SHARE OF PROMOTIONAL SPENDING BY MERCHANT CATEGORY, 2015-2016 (ADI)

30%

20%

10%

0%
Home improvement Other Electronics Healthcare Furniture Jewelry

The mix of spending across merchants varies substantially by credit score tier. Figure 25
compares the spending that consumers in each credit score tier make on deferred interest
promotions, by the type of merchant. Consumers with superprime scores, in particular, tend to
concentrate their deferred interest spending at home improvement merchants. By contrast,
relative to all consumers, those with subprime and deep subprime scores tend to make more of
their deferred interest purchases on healthcare. Electronics is an important deferred interest
channel for consumers in all tiers.

FIGURE 25: SHARE OF PROMOTIONAL SPENDING BY MERCHANT CATEGORY, 2015-2016 (ADI)

Superprime

Prime

Near-prime

Subprime

Deep subprime

0% 10% 20% 30% 40% 50% 60% 70% 80% 90% 100%

Home improvement Other Electronics Healthcare Furniture Jewelry

104 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
PROMOTION DURATION
Although deferred interest promotions can vary substantially in length, most are only six or 12
months long, as shown in Figure 26.56 Additionally, consumers in lower credit score tiers take
shorter promotions on average than consumers with higher credit scores.

FIGURE 26: SHARE OF DEFERRED INTEREST PROMOTIONS BY DURATION, 2015-2016 (ADI)

60%

50%

40%

30%

20%

10%

0%
6-11 months 12-17 months 18+ months
Superprime Prime Near-prime Subprime Deep subprime No score Overall

AVERAGE PURCHASE AMOUNT


Figure 27 compares the average purchase amount on a deferred interest promotion for each of
three promotion lengths: six to 11 months, 12 to 17 months, and 18 months and above. Average
purchase amounts increase with promotion length. This reflects how issuers structure products;
consumers are generally offered longer promotional periods when making larger purchases.
Overall, the average price of a deferred interest purchase was $855.

56In our 2015 Report, we observed that almost all promotion lengths are structured in multiples of six months.
Almost all promotions of six to 11 months are six-month promotions. Similarly, 12 to 17 month promotions are
almost all 12 months in length, and 18+ month-long promotions are overwhelmingly either 18 or 24 months in
length. See 2015 Report, at 160-161. Market monitoring indicates that this remains the case.

105 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 27: AVERAGE PURCHASE AMOUNT ON DEFERRED INTEREST PROMOTIONS BY DURATION, 2015-
2016 (ADI)

$1,800

$1,200

$600

$0
6-11 months 12-17 months 18+ months Overall

Figure 28 presents average purchase amounts on deferred interest promotions by consumer


credit score tier. Consumers with superprime credit scores typically spend over $1,000 per
promotion, which is 40% more than the next highest spending credit tier. On average,
consumers with below-prime credit scores spend less than $600 per promotional purchase.
Consumers with lower credit scores predominantly take deferred interest promotions six to 11
months in duration, likely as a result of lower-than-average spending per promotional purchase.
Over 65% of purchases made on deferred interest promotions by consumers with deep subprime
credit scores had a duration of six to 11 months, as compared to 52% for consumers with
superprime credit.

FIGURE 28: AVERAGE PURCHASE AMOUNT ON DEFERRED INTEREST PROMOTIONS, 2015-2016 (ADI)

$1,000

$750

$500

$250

$0
Superprime Prime Near-prime Subprime Deep subprime No score Overall

106 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Figure 29 presents average purchase amounts on deferred interest promotions by merchant
category. Average deferred interest purchases were highest at merchants specializing in jewelry
and furniture at $1,691 and $1,340, respectively. Healthcare and home improvement purchase
amounts averaged roughly $1,000 each. Purchase amounts averaged $832 for electronics
merchants, which is similar to the overall average for deferred interest purchases. Deferred
interest purchases at other types of merchants were typically for lower amounts than they were
for merchants in any of the specific categories we enumerate.

FIGURE 29: AVERAGE PURCHASE AMOUNT BY MERCHANT CATEGORY, 2015-2016 (ADI)

$1,500

$1,000

$500

$0
Home improvement Other Electronics Healthcare Furniture Jewelry Overall

PAYOFF RATES
Consumers who make purchases on deferred interest promotions and successfully repay the
balance within the promotional period benefit from deferred interest products. The Bureau’s
2015 Report found that overall promotion-level and balance-level payoff rates from 2009 to
2013 lay between 76% and 82%.57

57 2015 Report, at 164.

107 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Payoff rates recorded in the present study are slightly lower than those recorded in the 2015
Report, both overall and in all credit tiers. Promotion payoff rates on six to 17 month
promotions originated in 2015 were 72%, and balance payoff rates were 74%.58

The Bureau’s 2013 and 2015 Reports found deferred interest payoff rates to be strongly
correlated with credit score.59 The correlation between payoff rates and credit score persists into
our current observation period, as shown in Figure 30.60 We find that, on one end of the
spectrum, 86% of superprime balances are paid off; on the other end, only 46% of deep
subprime balances are paid off during the promotion period.

FIGURE 30: PAYOFF RATE ON DEFERRED INTEREST PROMOTIONS ORIGINATED IN 2015 (ADI)

90%

60%

30%

0%
Superprime Prime Near-prime Subprime Deep subprime Overall
Promotion payoff rate Balance payoff rate

58Payoff rates on deferred interest products can be expressed in several ways, including: (1) the number of total
deferred interest promotions in which the full balance is repaid prior to the end of the deferred interest period
divided by the total number of deferred interest products originated; and (2) the dollar volume of promotional
balances paid in full during the promotional period divided by the total dollar volume of deferred interest balances
originated. The 2013 Report generally used the second measure, which we refer to as the “balance payoff rate.” The
2015 Report used both the first measure, which we refer to as the “promotion payoff rate,” and the second measure.
In this report, we again use both measures. The rates reported in this report, however, are not directly comparable
to those in prior reports for two reasons. First, the issuer samples are different, with the present report covering a
wider range of DI issuers. Second, this report generally splits the lowest credit tier from the 2015 Report into two
separate tiers, with deep subprime now beginning below 580 rather than below 620.

59 2015 Report, at 167-169; 2013 Report, at 80.

60Consumers with no credit score demonstrated payoff rates in line with the overall averages. They are therefore not
shown here.

108 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
DEFERRED INTEREST ASSESSED
Though deferred interest promotions benefit consumers who pay their promotional balance in
full within the promotional period, they are more costly for consumers who do not. The
aggregate amount of deferred interest assessed to consumers increased by 10% from 2015 to
2016, to just over $2 billion in total.61

FIGURE 31: TOTAL DEFERRED INTEREST ASSESSED (ADI)

$2.0B

$1.5B

$1.0B

$0.5B

$0
2015 2016
Superprime Prime Near-prime Subprime Deep subprime No score

Growth in deferred interest assessed to consumers was spread relatively evenly across all credit
score tiers. Consumers with higher credit scores continued to pay the largest aggregate deferred
interest bill, as their share of overall activity in this space remains dominant even as their payoff
rates are higher.

Figure 32 compares the share of promotional purchase volume in 2015 and 2016 accounted for
by consumers in each credit score tier with each tier’s share of deferred interest charges assessed
in the same period. Only consumers with superprime scores and consumers with no score

61 Our data do not currently allow us to determine how much of this growth is driven by volume growth, and how
much, if any, is driven by deterioration in payoff rates.

109 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
account for a larger share of spend than of deferred interest charges, and they do so by a large
margin.62 Consumers with superprime scores incur just over one-quarter of deferred interest
charges even as they represent nearly three-fifths of promotional spending. Meanwhile,
consumers with lower credit scores comprise 12% of promotional spending and pay nearly 30%
of the deferred interest bill.63

FIGURE 32: SHARE OF PROMOTIONAL SPENDING AND DEFERRED INTEREST CHARGES, 2015-2016 (ADI)

60%

50%

40%

30%

20%

10%

0%
Superprime Prime Near-prime Subprime Deep subprime No score
Promotional purchase volume Deferred interest charges

62The figures in this section are not net of waivers or reversals of deferred interest. Current waiver and reversal
programs would not be expected to create less variance across tiers than is shown in Figure 32. Consumers with
higher scores get larger shares of their total deferred interest bill waived than consumers with lower scores do.

63That gap only grows more pronounced with further credit score breakdown. The ratio of cost share to spend share
in near-prime is just over two to one. That ratio is just over three to one in subprime. It is over five to one among
consumers with deep subprime scores.

110 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
4. Availability of credit
Our previous reports examined a number of metrics relating to the availability of card credit.
This report continues our prior approach. We also broaden our focus to monitor whether card
credit availability is stable, contracting, or expanding, both overall and for specific credit score
tiers.

We approach availability by exploring two broad areas: first, new account and line origination;
second, line changes after origination. To accomplish this, we track the credit card account life
cycle. We start with consumer solicitation and application, covering the myriad channels used.
Next, we address issuer approvals as well as new account and line origination. Finally, we end
with issuer line management of existing accounts.

As we noted in our prior reports, we lack a single metric to measure overall credit availability in
a manner similar to the total cost of credit (“TCC”), discussed in Section 3, which measures the
overall cost of consumer credit cards.1 Moreover, to the extent there is a reduction in the number
of new accounts being opened, it is difficult to ascertain whether this is a function of changes in
credit supply, changes in credit demand, or a combination of the two. Therefore, our analysis of
availability focuses, where possible, on metrics that permit us to observe the interaction between
supply and demand most clearly.

In our 2013 Report, we observed that the CARD Act had, by design, affected credit availability in
certain respects by requiring issuers to make an ability-to-pay determination before opening a
new account or increasing the credit line on an existing account.2 The current report finds that
the CARD Act continues to affect approval rates for new accounts and finds that the rate of
credit line increases, while increasing over the past two years, is still well below pre-CARD Act

1 See 2013 Report, at 38; 2015 Report, at 86.

2 2013 Report, at 6.

111 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
levels, a result which may be attributable to the CARD Act’s underwriting requirement.3 Beyond
that, the 2013 Report found that “credit availability appears to have tightened during 2008 and
2009 and to have loosened in the following years.”4 The current report finds that credit
availability has continued to loosen over the past two years. Given the limit on available
resources and the challenges in measuring credit availability across markets, we do not attempt
to comprehensively compare credit availability in the credit card market with other consumer
credit markets or to engage in the kind of econometric analysis that would be required to assess
whether there is evidence that the CARD Act affected, either positively or negatively, the overall
availability of credit.

4.1 New accounts


Every day, U.S. consumers submit over half a million applications for credit cards. Approving an
application gives the applicant the ability to borrow (even if the applicant has no present intent
to do so), so issuers must decide whether applicants are sufficiently creditworthy to issue the
product for which they applied. That process is largely (though not completely) automated.
Issuers compete to meet consumer demand for credit cards through broad-based advertising,
such as television commercials. They also use targeted marketing, which is increasingly shifting
away from the traditional direct mail-centric model towards one that leverages digital channels.
We examine below the patterns of credit card marketing and solicitation, consumer
applications, approval rates for new accounts, and the volume of new account and line
origination. Where possible, we examine how these metrics vary by credit tier as well as by
product and marketing channel.

3 See Sections 4.1.3 & 4.2.4.

4 2013 Report, at 60.

112 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
4.1.1 Solicitations
Issuers use solicitations to make consumers aware of their credit products and to encourage
consumers, especially those believed to be qualified, to apply for them. Solicitations may be
targeted to specific people selected based upon their credit records. These are known as “pre-
screened,” “pre-approved,” or “pre-selected” offers. Alternatively, solicitations may be sent to a
specific person without any prior credit screening. These are often referred to as “invitations to
apply.” Offers also may be distributed more widely to the “mass market” through a variety of
channels, without regard to the qualifications of each individual recipient.

DIRECT MAIL
Historically, almost all credit card marketing was done by direct mail. In fact, consumers have
been receiving credit card offers by post since the invention of the credit card. The effectiveness
of direct mail has varied over time. It also varies across issuers, with some issuers and some
offers eliciting higher response rates from consumers than others. In a recent survey by Mintel,
response rates ranged from 0.3% to 2%, depending on the issuer and the network.5 Offers that
included rewards had a response rate more than double that of offers that did not.6

The volume of credit card offers sent via post has decreased in recent years, as shown in Figure
1. This is the result of a number of factors. The lower cost of emerging online advertising
channels has made digital solicitation more attractive. Consumers themselves are increasingly
engaged in the digital space, meaning there is more consumer attention to be captured with
digital solicitation than was previously the case. And increasingly sophisticated marketing
processes have led issuers to send fewer but more targeted pieces of mail while concurrently
expanding into low-cost channels. Some issuers have significantly reduced their mail volumes in
the past year, in favor of email, digital presence on third-party comparison sites, or even word-
of-mouth.

5 Response rate is defined as the number of consumers who respond to a solicitation divided by the total number of
consumers to whom the solicitation was sent.

6 Mintel Comperemedia, U.S. Credit Card Response Rates, (Aug. 21, 2017).

113 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 1: MONTHLY MAIL VOLUME TRENDS BY CONSUMER CREDIT SCORE (MINTEL COMPEREMEDIA)

1,200M

900M

600M

300M

0
2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017

Superprime Prime Near-prime Subprime Deep subprime No score

DIGITAL SOLICITATION
The shift to digital forms of solicitation can be seen not only in the reduction of mail volume, but
also in the increased use of a variety of digital solicitation channels. According to recent Mintel
data, nearly half of surveyed applicants reported obtaining offers for the relevant card via digital
channels, as compared to 21% for direct mail, 17% in-person, and 13% via phone or other
means.7 Consumer responses indicated that the 50% figure for digital solicitations generally
held for all issuers covered in Mintel’s survey. In contrast, issuers vary in their reliance on direct
mail and in-person channels to drive applications.8

The forms of digital solicitation are also growing more varied. Emails to consumers or banner
ads directing consumers to the issuer’s website have become common marketing tools. Issuers
are rapidly increasing and intensifying their use of mobile applications, text messages, social

7 Id.

8 See id.

114 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
media messaging, and third-party comparison sites, the last of which we discuss in further detail
in Section 7. In the second quarter of 2017, roughly 12% of consumers with a recent application
reported receiving the relevant offer via email, another 10% reported receiving it via a third-
party comparison site, 6% via social media, 5% via a mobile app, 3% via text message, and 13%
via the issuer’s own website.9

4.1.2 Applications and approvals


Consumers who seek a credit card must submit an application to an issuer, whether they
respond to a specific solicitation or not. The issuer then decides whether or not to issue that
consumer a credit card based on an internal underwriting process. At least for large issuers, that
process typically is complex and largely, but not completely, automated.10

Below we first examine overall trends in consumer application volumes. We then review the
rates at which those applications are approved. For these purposes, we analyze data from a
subset of issuers that focus on mass market applications (“MMI data”). For these mass market
issuers, we have at least some continuous data going back a full decade—and more granular data
for a more recent period. These issuers represent a large majority of the market. Even so, it is
important to acknowledge that these issuers may not be representative of the market as a whole.
(Additional information on applications and approvals for specific market segments—like cards
issued by subprime specialists and secured cards—is in Section 6.)

CREDIT CARD APPLICATIONS OVERALL


Consumers continue to apply for a large number of credit cards. On an average day, the mass
market issuers for which we have data receive hundreds of thousands of credit card applications.
As shown in Figure 2 below, that volume has been largely stable since 2013, both overall and

9 See id.

10 Although applications can be sorted into those that are approved and those that are rejected, the underwriting
process will often produce more varied results than this. The approval decision, in fact, is in some sense not binary,
but instead reflects a number of components, such as approved interest rate, credit line, and potentially other terms.
The rejection decision, too, may be textured. With some rejections, for example, an issuer may “counter-offer” with
a solicitation to apply for a product for which the consumer did not initially submit an application.

115 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
across the scored credit spectrum. (The data we use here only allow us to look at consumers with
lower scores in a single, aggregated tier. More detailed data for below-prime tiers are available
for a more recent period, as discussed below.) Mass market issuers have seen substantial growth
in applications from consumers without credit scores over the last decade.11 Since 2013, these
consumers have consistently submitted applications at more than twice their rate in 2007.

FIGURE 2: ANNUAL APPLICATION VOLUME FOR MASS MARKET ISSUERS (MMI)

160M

120M

80M

40M

0
2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Superprime Prime Below-prime No score

The data allow a more granular examination of applications by credit score tier over the past
four years. The results are in Figure 3. Compared to 2013, 2016 application volumes were higher
for all credit score tiers except deep subprime. They were also higher, though only marginally so,
for consumers without scores. Application volume has not increased consistently across all four
years. In 2015, volume for all credit tiers fell relative to 2014, even though it still registered as an
increase over 2013.

11 Section 4.1.4 looks at the volume of originations over time. Data shown there indicate that growth in mass market
issuer originations to consumers without scores outpaces substantial growth in originations to all consumers
without scores in the market, as measured by the CCP. This suggests that high growth in applications and
originations for mass market issuers may have distinct causes, including industry consolidation and specific
instances of portfolio acquisition.

116 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 3: ANNUAL APPLICATION VOLUME FOR MASS MARKET ISSUERS, INDEXED TO 2013 (MMI)

115

110

105

100

95

90
2013 2014 2015 2016
Superprime Prime Near-prime Subprime
Deep subprime No score Overall

CREDIT CARD APPLICATIONS BY CHANNEL


Applications can be submitted via a number of channels. These channels are distinct from the
channel by which the application is solicited, though in many cases they are related. To take just
one example, a consumer who is solicited to apply using a third-party comparison site will likely
apply digitally, using the link the site provides. The nature and variety of the application
channels available, and the ways in which they may interact with solicitation channels, can
shape whether consumers apply for credit cards, and the cards for which they apply.12

Historically, mail and in-person were the traditional application channels, and these
applications generally were in response to solicitation via those same channels—a mailed offer
or an in-branch “take-one” paper application. Today, however, digital application channels
predominate—even for mailed solicitations. Consumers are increasingly responding to direct

12 Our market monitoring also suggests that, in at least some cases, application channel may be a factor in issuer
underwriting—tying the medium by which a consumer applies for a credit card even more directly to whether and
on what terms that card is made available to them.

117 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
mail using digital application channels. In the second quarter of 2017, 72% of survey
respondents who responded to direct mail offers did so via a digital application.13

For purposes of the present analysis, we define a number of digital application channels. Some
of these correspond directly to specific digital solicitation or marketing channels. For example,
applications that are sourced via third-party comparison sites correspond to marketing material
on those sites, as do applications submitted in response to more conventional digital advertising
such as banner advertisements or paid placements on search engines. Others do not track to a
single specific form of digital solicitation, such as applications submitted via a mobile device,
which may be responsive to any number of different solicitation forms. (As a result, not all our
categories are mutually exclusive.) We also track a number of application channels that do not
directly implicate digital reliance by issuer or consumer, such as applications that were
submitted via co-brand or private label partners, or applications submitted by consumers with
an existing non-credit card account relationship at a given issuer.

Card type and applications


In this context, both issuer practice and consumer behavior differ significantly by card type. As a
result, we break down many of our findings according to card type. Most of the data sources
relied upon in this report allow us to subdivide cards into general purpose and private label. Our
most recent mass market issuer survey, however, allows us in some cases to divide cards into
three types. Specifically, it allows us to further identify a subset of general purpose cards as
“retail co-brand” cards. These cards are generally included as general purpose cards in other
data sources because they feature the brand of a major card network, allowing them to be used
at a wide variety of merchants. They are issued, however, by a business unit at the issuer that
primarily offers cards in partnership with and under the branding of select retailers. (It is
important to note, however, that we do not include all co-brand cards in “retail co-brand.”14) In
some important respects, these cards offer features and terms that resemble those on private

13 Supra note 6.

14 We exclude, for example, airline and hotel co-branded cards from the definition because these products tend to
have terms and features that generally align with issuer-branded general purpose cards.

118 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
label cards more than those on other general purpose cards. As a result, they can be seen as
something of a hybrid between general purpose and private label cards.

In fact, many issuers partner with merchants to offer both a retail co-brand and private label
card with that merchant’s brand. In some such cases, that merchant’s customer will not be
presented with an option to apply for one or the other. Instead, the customer is given the option
to apply for a merchant-branded credit card. In such cases, merchants will first determine
whether the consumer can be approved for a retail co-brand card—if so, they will issue them
that card, but if not, they will then determine whether or not that consumer can be approved for
a private label card. This process highlights the complexity of the credit card underwriting and
usage ecosystem.

It also poses a specific tabulation problem. In instances where we are measuring metrics relating
to application, including approval rates, it is not always clear whether a consumer’s application
was for a private label card, a retail co-brand card, or for one of the above-described programs
that could result in one or the other. Therefore, in some cases, we cannot report private label
and retail co-brand cards separately. In those cases, we combine results for both card types, and
refer to the combined pool of cards as “store cards.” However, this problem only applies to
metrics that relate to applications. Once a card is originated, it is definitively either private label
or retail co-brand.

It is also important to note that, in this section when we refer to findings relating to “general
purpose” cards drawn from our mass market issuer data, we are referring to a smaller group of
cards than we are elsewhere in the report—because we are excluding retail co-brand cards from
the pool of general purpose cards, both in cases where we can break out retail co-brand cards
from private label cards and in cases where we consolidate them as store cards.

Digital solicitation
Our mass market data indicate that digital solicitation channels have become increasingly
popular, and general purpose applications sourced from such channels have increased
substantially in number. General purpose applications submitted in direct response to digital
solicitation channels now constitute a substantial share of all applications, with digital
advertising directly sourcing one in seven applications and third-party credit card comparison
websites sourcing roughly one in five. We also find that nearly one in five general purpose
applications are submitted using a mobile device.

119 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
General purpose applications in response to digital solicitations, or relying on mobile devices,
represent a much higher share of applications submitted by consumers under the age of 65 than
those over the age of 65. This suggests that current trends will only solidify over time.

Store cards, while not unaffected by this trend, are still firmly rooted in their traditional
solicitation and application channel—at the physical point of sale. Nearly three-quarters of all
applications for store cards were submitted in-person at a co-brand partner’s location in 2016.

FIGURE 4: APPLICATIONS SUBMITTED VIA MOBILE DEVICES AS A SHARE OF ALL APPLICATIONS IN


EACH CREDIT TIER, 2015-2016 (MMI)

25%

20%

15%

10%

5%

0%
General purpose Store card
Superprime Prime Near-prime Subprime Deep subprime Overall

Consumers in lower credit tiers submit a larger share of their applications for credit cards using
mobile devices than do consumers in higher credit tiers. As Figure 4 shows, there is an inverse
relationship between credit score and propensity to apply via a mobile device. This striking
trend is visible for both card types.

The especially high share of consumers with lower scores who apply via mobile may indicate
opportunities to change some existing patterns and practices in credit card servicing.
Consumers with lower credit scores exhibit a greater propensity to pay late, the greatest
propensity to revolve, and the lowest average payment rates, as we noted in Sections 2 and 3
above, respectively. As a result, improving the effectiveness of mobile disclosures and mobile
account servicing tools may offer a particular benefit to consumers with the lowest scores—who
incur the most fees and pay the highest all-in costs for using cards. (We discuss the costs
incurred by these consumers further in Section 3.)

120 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Existing banking relationships and general purpose co-brand partners
Many mass market card issuers do not specialize in credit cards. These banks offer a wide
variety of consumer financial products, and in many cases may aspire to build broader, longer-
term relationships with consumers that grow to include additional financial products and
services, such as mortgages or investment products.15 However, recent revelations about the
practices of some such banks have generated increased scrutiny of certain aspects of this
approach from regulators and others.

To establish a factual baseline in this area, we requested that issuers identify the number of
applications they received from consumers with whom they had any sort of pre-existing
relationship. Our survey was agnostic as to whether consumers were solicited to apply in whole
or in part because of that pre-existing relationship. The fact of a consumer submitting a credit
card application to an issuer with which they already have another account, therefore, may or
may not represent any kind of practice or program on the part of the issuer to solicit or
otherwise encourage that application.

Figure 5 shows the share of all applications submitted by consumers with a pre-existing banking
relationship with the issuer. Two points stand out. First, there are many such applications in the
general purpose market, but very few for store cards. Second, this phenomenon is correlated
with credit score. Consumers with higher scores record higher rates of applying to banks with
which they already have at least one product.

15 Our analysis here is limited only to the banks in our mass market issuer survey, but many other financial
institutions also share this same goal, including smaller banks and credit unions.

121 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 5: SHARE OF ALL APPLICATIONS SUBMITTED BY CONSUMERS WITH EXISTING BANKING
RELATIONSHIP WITH THE ISSUER TO WHICH THEY APPLIED, 2015-2016 (MMI)

25%

20%

15%

10%

5%

0%
General purpose Store card
Superprime Prime Near-prime Subprime Deep subprime Overall

Consumers may also be motivated to apply for credit cards on the basis of their relationship with
a third party. This is clearly the case with store cards. But this dynamic is also present with
general purpose cards. Consumers may feel a strong affinity for major brands such as airlines
and hotels. In such cases, third parties often establish channels to receive applications for the
credit cards bearing their brand, even when those cards are generally issued by a large mass
market bank. As shown in Figure 6, co-brand partners accounted for nearly one-fifth of all
general purpose card applications across 2015 and 2016, and over one-quarter of all general
purpose applications from consumers with superprime scores.

FIGURE 6: SHARE OF GENERAL PURPOSE CARD APPLICATIONS SUBMITTED VIA CO-BRAND PARTNERS,
2015-2016 (MMI)

30%

20%

10%

0%

Superprime Prime Near-prime Subprime Deep subprime Overall

122 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
CREDIT CARD APPROVAL RATES OVERALL
Following a drop associated with the recession, approval rates among mass market issuers have
rebounded and remain fairly stable for consumers in all credit tiers. These data are shown in
Figure 7. Some 28% of applications from consumers with lower credit scores were approved in
2016, which is slightly higher than the 27% recorded in 2007.

FIGURE 7: APPROVAL RATE FOR ALL MASS MARKET CREDIT CARD APPLICATIONS (MMI)

100%

80%

60%

40%

20%

0%
2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Superprime Prime Below-prime No score Overall

Recent data that permit more granular credit score tiering show that consumers in lower credit
score tiers have maintained an across-the-board increase in approval rates since 2013. Even
while consumers with deep subprime scores still experience very low approval rates in aggregate,
they experienced the largest relative increase in approval rate between 2013 and 2016. These
data are shown in Figure 8.

FIGURE 8: APPROVAL RATE FOR ALL MASS MARKET CREDIT CARD APPLICATIONS (MMI)

100%

80%

60%

40%

20%

0%
2013 2014 2015 2016
Superprime Prime Near-prime Subprime
Deep subprime No score Overall

123 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
APPLICATIONS AND APPROVAL RATES BY CARD TYPE
For the mass market issuers in our dataset, application volumes and approval rates differ
substantially by card type as well as credit score. Figure 9 below shows the breakdown of
applications and approvals for each card type during 2016. Store cards represented a majority of
credit card applications in 2016, but only by a narrow margin. Nearly four-fifths of approved
store card applications were for private label cards, with only about one-fifth for retail co-brand
cards. Approval rates are higher for store cards, for reasons discussed more fully below.

FIGURE 9: APPLICATIONS AND APPROVALS BY CREDIT CARD TYPE, 2016 (SHADED AREA REPRESENTS
APPROVED APPLICATIONS) (MMI)

90M

60M
51%
44%
30M

0
General purpose Store card

Compared to 2015, 2016 application volume for mass market issuers has increased, especially
for general purpose cards.16 Conversely, it has only slightly increased for store cards. These data
are shown, broken out by credit tier, in Figure 10.

16 The data are not limited to a single set of co-brand programs in 2015 and 2016. In theory, therefore, the growth rate
in both categories could reflect program acquisition by MMI issuers from issuers outside this data pool. Our
monitoring indicates, however, that the growth shown is predominantly accretive, meaning that it reflects organic
growth in MMI programs—at least in their application numbers.

124 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 10: YEAR-OVER-YEAR GROWTH IN APPLICATION VOLUME, 2016 (MMI)

20%

15%

10%

5%

0%
General purpose Store card
Superprime Prime Near-prime Subprime Deep subprime No score Overall

Figures 11 and 12 break down the data in Figure 9 by credit tier. They show that consumers with
superprime scores submit the most applications of any individual credit score tier, for each card
type. Subprime and deep subprime combined, however, represent a larger share of applications
for general purpose and store cards than the superprime tier. Application volume dynamics vary
substantially across card types. Application volumes generally decline with credit tier, but the
size of those declines is not proportional across product types. For general purpose cards, there
is not as large a gap in application volume between consumers with superprime and prime
scores—the next largest applicant pool for every card type—as there is for store cards. The
number of applications from consumers without credit scores also varies significantly across
product types, with general purpose cards receiving substantially more applications from this
group.

Approval rates decline consistently with credit tier across both product types. Store cards are the
card type with the highest approval rates for applications from consumers with near-prime
scores and above. This store card approval gap is most notable for prime and near-prime
applications. For subprime and deep subprime applications combined, general purpose has the

125 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
highest approval rate and the highest absolute number of applications. The same is true for
applications from consumers without scores.17

FIGURE 11: APPLICATIONS AND APPROVALS FOR GENERAL PURPOSE CARDS, 2016 (SHADED AREA
REPRESENTS APPROVED APPLICATIONS) (MMI)

20M
84%
15M

10M 65%

43% 19%
5M 16%

0
Superprime Prime Near-prime Subprime and No score
deep subprime

FIGURE 12: APPLICATIONS AND APPROVALS FOR STORE CARDS, 2016 (SHADED AREA REPRESENTS
APPROVED APPLICATIONS) (MMI)

30M
91%

20M
85%

10M 64%
10%
3%
0
Superprime Prime Near-prime Subprime and No score
deep subprime

17 Our MMI data account for smaller shares of the overall market as they reach deeper into the credit spectrum.
Accordingly, we have combined approval rate data in the two lowest score tiers, but still note that our approval
results for that merged tier should be treated with additional caution. Additional application and approval data for
consumers in lower credit tiers are included in Section 6, which uses data obtained from subprime specialist issuers.
In addition, we have much more complete data on originations to, though not application volumes and approval
rates for, consumers with lower credit scores because we can use the Consumer Credit Panel (which captures
effectively all of the market, albeit via sampling) for those purposes.

126 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
4.1.3 Ability-to-pay tests in the approval process
The CARD Act requires issuers to consider a consumer’s “ability to pay” (“ATP”) when issuing a
new credit card or increasing an existing card’s credit line. Our 2015 Report contains a detailed
discussion of these ATP requirements and the various practices used by issuers to implement
them.18 The applicable rules require issuers to consider a consumer’s debts and income (and/or
assets) in determining whether the consumer has the capacity to make at least minimum
payments on the account should the consumer choose to utilize the full credit line.19

Our 2015 Report found that around 4.7% of credit card applications were denied because they
failed to meet ATP requirements.20 This “ATP denial rate” varied substantially across issuers.
We observe similar results in our current dataset covering the same group of mass market
issuers.

There are several ways to measure how ATP has affected credit card approval rates. Ideally, one
would want to know the number of applications that, had issuers applied each and every
underwriting test they employ to all applications, would have failed ATP but passed every other
underwriting test. However, the most practical method is to count applications that are in fact
rejected for ATP reasons under the actual review practices used by issuers. Our analysis of MMI
data follows this approach, as it did in our prior report.

This method has certain limitations. Issuers use a range of ATP practices. One important form
of variation is the point at which issuers apply ATP tests to applications. Some issuers apply all
underwriting tests, including ATP, simultaneously, meaning that they capture all the reasons
that each application fails—including failure to clear ATP thresholds. Other issuers, however,
apply their tests sequentially, rejecting an application once it has failed one test, and accordingly
not determining whether that application clears any remaining tests. For those issuers that do
not place their ATP test at the end of such a sequence, at least some applications could be

18 See 2015 Report, at 139-146.

19 12 C.F.R. § 1026.51(a).

20 2015 Report, at 104.

127 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
recorded as rejected for ATP reasons when, had the issuer applied their remaining underwriting
tests, the application would have failed one or more of those as well. Conversely, as an issuer
pushes its ATP test towards the end of a test sequence, many applications that would fail ATP
never get the chance to do so because they fail earlier tests and are, consequently, never assessed
for ATP.

Therefore, our method includes some ATP-denied applications that would have failed other
approval criteria, such as those employed in the credit underwriting process or in fraud
screening. It excludes, however, applications that would have failed ATP had they not already
failed some other application criteria. For practical reasons, we rely on this method despite
these limitations.

The number of ATP denials can be expressed as a share of total applications, which is the
approach used to generate the 4.7% estimate above. We refer to this as the “ATP denial rate.”
The number of ATP denials can also be expressed as a share of rejected applications. We refer to
this as the “ATP rejection share.”

GENERAL PURPOSE
Our 2017 MMI data show an ATP denial rate of just under 4% for general purpose applications.
For applications by consumers with a credit score, however, this rate fell to about 2%. The ATP
denial rate is much higher for consumers without a credit score.

For consumers with a score, there is little variance in ATP denial rate across credit score tiers.
There is especially large variation across issuers with respect to denial rates on applications
from consumers without a score, suggesting that different issuer ATP practices may be affecting
this particular measure.

128 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 13: ATP DENIAL RATE FOR GENERAL PURPOSE APPLICATIONS, 2016 (MMI)

10%

8%

6%

4%

2%

0%

Superprime Prime Near-prime Subprime Deep subprime No score Overall

ATP rejection shares vary more by credit tier than ATP denial rates do. Figure 14 below shows
ATP rejection shares by credit tier. Rejection shares increase with credit score, likely because
consumers with higher credit scores are more likely to pass issuers’ other underwriting tests. As
a result, ATP will tend to account for a higher share of whatever applications an issuer does
reject in higher credit tiers.

FIGURE 14: ATP REJECTION SHARE FOR GENERAL PURPOSE APPLICATIONS, 2016 (MMI)

18%

15%

12%

9%

6%

3%

0%
Superprime Prime Near-prime Subprime Deep subprime No score Overall

STORE CARDS
According to our current data, the ATP denial rate is roughly 3% for store card applications. This
rate is significantly lower than the equivalent figure for general purpose cards. Figure 15 shows,
however, that this is almost entirely the result of a substantially lower denial rate for store card
applications from consumers without scores than for general purpose applications from those

129 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
consumers. For most other credit score tiers, ATP denial rates are higher for store card than for
general purpose applications, albeit only marginally so.

FIGURE 15: ATP DENIAL RATE FOR STORE CARD APPLICATIONS, 2016 (MMI)

4%

3%

2%

1%

0%
Superprime Prime Near-prime Subprime Deep subprime No score Overall

Shifting to the ATP rejection share, which is shown in Figure 16 below, we observe the same
general trends for store card rejections as we did for general purpose rejections. For store card
applications, however, the overall share of rejections driven by ATP is much higher for the
higher credit score tiers. This is striking especially because store cards generally feature lower
initial lines than general purpose cards. This likely indicates that store cards generally have
more liberal underwriting than general purpose cards, for consumers with higher scores,
meaning that among the smaller share of such consumers rejected, ATP is more likely to be the
cause of rejection.

FIGURE 16: ATP REJECTION SHARE FOR STORE CARD APPLICATIONS, 2016 (MMI)

35%
30%
25%
20%
15%
10%
5%
0%
Superprime Prime Near-prime Subprime Deep subprime No score Overall

130 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
4.1.4 Account originations
Using the Consumer Credit Panel (“CCP”) we are able to examine account originations across all
issuers and not just those mass market issuers within the scope of our MMI survey. In 2016,
consumers opened roughly 110 million new credit card accounts. As Figure 17 shows, that is a
higher total than in any single year since 2007. However, new account volume has not yet
returned to the level it had reached in the years prior to the recession.21

FIGURE 17: ANNUAL NEW ACCOUNT VOLUME (CCP)

120M

100M

80M

60M

40M

20M

0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Superprime Prime Near-prime Subprime Deep subprime No score

Consumers with prime and superprime credit scores opened more accounts in 2016 than they
did immediately following the recession in 2010, but still continue to open fewer accounts than
they did in the 2005 to 2007 period. By contrast, as Figure 18 shows, the number of accounts
originated for consumers with near-prime and subprime credit scores in recent years matches or

21 In our prior report, we noted that Experian’s Market Intelligence Report data indicated that originations had
returned to their pre-recession level. However, those data were erroneous as a result of underreported 2007 private
label originations. Accordingly, that finding is not supported by currently available data.

131 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
exceeds levels recorded in the period preceding the recession. Originations among consumers
with deep subprime scores are now nearing that mark as well.

FIGURE 18: ANNUAL NEW ACCOUNT VOLUME, LOWER CREDIT SCORE TIERS (CCP)

30M

20M

10M

0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Near-prime Subprime Deep subprime

GENERAL PURPOSE
Growth in new general purpose account volume continues.22 Originations in 2016 exceeded
2008 levels. Compared to the overall card market, the recovery here is more even, with all credit
score tiers regaining ground since 2009. Even so, no tier yet matches or exceeds levels reached
in 2005 through 2007. These data are shown in Figure 19 below.

22General purpose here refers to all cards that are not specifically identified as private label, and therefore may
include retail co-brand cards. This is due to data limitations inherent in the CCP dataset.

132 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 19: ANNUAL NEW GENERAL PURPOSE ACCOUNT VOLUME (CCP)

80M

60M

40M

20M

0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Superprime Prime Near-prime Subprime Deep subprime No score

Superprime accounts experienced the smallest drop-off in origination volume during the
recession years. Originations in the lower tiers fared worse during the recession, but these tiers
have experienced much faster growth in the subsequent years. Figure 20 shows the below-prime
originations picture before, during, and after the recession in more detail.

FIGURE 20: ANNUAL NEW GENERAL PURPOSE ACCOUNT VOLUME, LOWER CREDIT SCORES (CCP)

25M

20M

15M

10M

5M

0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Near-prime Subprime Deep subprime

133 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
PRIVATE LABEL
The fall-off in origination volume at the onset of the recession was much less marked for private
label than for general purpose cards. In fact, there was a relatively gradual decline in private
label originations from 2005, well before the recession hit. The number of new private label
accounts has been stable over the last few years, although at a level below those observed prior
to the recession. These data are shown in Figure 21 below.

FIGURE 21: ANNUAL NEW PRIVATE LABEL ACCOUNT VOLUME (CCP)

45M

30M

15M

0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Superprime Prime Near-prime Subprime Deep subprime No score

Despite that relative stability, there has been a notable shift in the composition of new private
label accounts. Accounts opened by consumers with superprime scores represented half or more
of all new private label accounts from 2005 through 2012. In the last four years, however, that
share has dropped to 40%. Consumers with lower credit scores have made commensurate gains,
representing 20% of new accounts in 2005 but 36% in 2016. In fact, each of the three lower
credit tiers has doubled or nearly doubled both its volume and its share of private label
originations since 2009. These data are shown in more detail in Figure 22.

134 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 22: ANNUAL NEW PRIVATE LABEL ACCOUNT VOLUME, LOWER CREDIT SCORES (CCP)

16M

12M

8M

4M

0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Near-prime Subprime Deep subprime

SHARE OF CONSUMERS ORIGINATING A CARD


Account origination figures do not give a complete picture from the consumer perspective
because consumers can and do originate more than one card in a calendar year. Figure 23 shows
the share of consumers within a given credit tier that originated credit cards in a given year.23 In
2016, 29% of consumers in the CCP originated a credit card. The origination rate is highest for
consumers with near-prime scores, followed by those with prime scores. For each of the last
three years, consumers with subprime scores originated cards at higher rates than consumers
with superprime scores. That represents a reversal from the years during and immediately
following the recession. Consumers with deep subprime scores originated at a substantially
lower rate than other consumers with scores, but they are the tier closest to originating cards at
their pre-recession rate. In fact, the degree to which this origination metric has returned to pre-
recession levels is inversely correlated with credit score.

23Because consumer credit scores fluctuate over time, some consumers spend time in more than one credit score tier
within the course of a calendar year. For Figure 23, therefore, we sorted consumers based on the score that they had
at the start of the relevant year. This allows the possibility that a consumer may have begun the year with one score,
but had a lower or higher score by the time they actually originated a card that year. For consumers without a score,
we only include consumers we observe in the CCP at some point over the year, and not those consumers who were
completely “credit invisible.”

135 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 23: ANNUAL SHARE OF CONSUMERS WITH A CREDIT RECORD ORIGINATING A CREDIT CARD
(CCP)

50%

40%

30%

20%

10%

0%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Superprime Prime Near-prime Subprime
Deep subprime No score Overall

COMPARISONS TO OTHER CONSUMER CREDIT MARKETS


In our two previous credit card market reports, we compared the pace of new account
origination in the consumer credit card market to other significant consumer credit markets,
benchmarking each market to their 2007 and 2009 levels, respectively. For this report we use
the CCP to expand our perspective back to 2005. While the rate of growth of credit card
originations lags that in the auto loan and personal loan market, it greatly exceeds that of
mortgage and home equity.24

24Our definition of personal loans here is intended to capture a wide variety of loans, but is limited to products visible
in the CCP and our definition here should not be taken to represent the Bureau’s perspective on what should and
should not be considered a “personal loan” under all circumstances. We discuss recent developments in a segment
of the personal loan market, and their relation to the credit card market, in Section 9.

136 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 24: NEW ACCOUNT ORIGINATIONS, % CHANGE SINCE 2005 (CCP)

30%

0%

-30%

-60%

-90%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
General purpose credit card Private label credit card
Automobile Home equity
Personal Mortgage

Restricting our analysis to just those consumers with subprime and deep subprime credit scores,
the same overall pattern can be detected in general purpose originations. However, Figure 25
shows private label originations have had significant and continuous growth in this segment
since 2010 compared to all other consumer credit products, auto loans and personal loans
included.

FIGURE 25: NEW ACCOUNT ORIGINATIONS TO CONSUMERS WITH SUBPRIME AND DEEP SUBPRIME
CREDIT SCORES, % CHANGE SINCE 2005 (CCP)

75%
50%
25%
0%
-25%
-50%
-75%
-100%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
General purpose credit card Private label credit card
Automobile Home equity
Personal Mortgage

137 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
4.1.5 Credit lines on originated accounts
Issuers assign a credit line to each originated account. The line determines how much a
consumer, at least initially, is generally permitted to borrow on the account. Account origination,
therefore, can be viewed not solely in terms of approvals and denials, but also as a continuum, as
approved consumers receive more or less credit at the outset. Examining the flow of new credit
line into the stock of credit available to consumers allows us a further window into the dynamics
of new account origination.

GENERAL PURPOSE
Credit lines for new general purpose accounts have generally rebounded from their recessionary
contraction. Within each credit score tier, average new line has increased since 2011. However,
only the superprime credit score tier has average new lines that surpass the levels attained in the
years immediately prior to the recession. These data are shown in Figures 26 and 27.

FIGURE 26: AVERAGE CREDIT LINE ON NEW GENERAL PURPOSE ACCOUNTS (CCP)

$12,000

$8,000

$4,000

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime Subprime
Deep subprime No score Overall

138 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 27: AVERAGE CREDIT LINE ON NEW GENERAL PURPOSE ACCOUNTS, LOWER CREDIT SCORES
(CCP)

$3,200

$2,400

$1,600

$800

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Near-prime Subprime Deep subprime

PRIVATE LABEL
Average new credit lines on private label cards have proven remarkably stable over the long-
term, as Figures 28 and 29 reflect, with only superprime and, to a lesser extent, prime tiers
showing an increase in recent years. For new accounts held by consumers with lower credit
scores, both the recession and recovery are all but invisible by this metric.

FIGURE 28: AVERAGE CREDIT LINE ON NEW PRIVATE LABEL ACCOUNTS (CCP)

$4,500

$3,000

$1,500

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Superprime Prime Near-prime
Subprime Deep subprime No score
Overall

139 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 29: AVERAGE CREDIT LINE ON NEW PRIVATE LABEL ACCOUNTS, LOWER CREDIT SCORES (CCP)

$1,500

$1,200

$900

$600

$300

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Near-prime Subprime Deep subprime

4.1.6 Total new credit line

OVERALL
Figure 30 shows the overall amount of new card credit line originated to consumers annually. In
2016, that number exceeded $450 billion for the first time since 2007, continuing the steady
growth in new line since a 2010 trough. Although all credit tiers have seen significant growth in
new line since 2010, only the superprime tier has matched the amount of line originated pre-
recession.

FIGURE 30: ANNUAL INITIAL CREDIT LINE ORIGINATED (CCP)

$450B

$300B

$150B

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Superprime Prime Near-prime Subprime Deep subprime No score

140 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Figure 31 shows the overall amount of line on new accounts originated to consumers with lower
scores. That amount exceeded the 2008 level in 2015, and in 2016 exceeded the 2005 mark,
though it is still lagging behind 2006 and 2007 totals.

FIGURE 31: ANNUAL INITIAL CREDIT LINE ORIGINATED, LOWER CREDIT SCORES (CCP)

$50B

$40B

$30B

$20B

$10B

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Near-prime Subprime Deep subprime

GENERAL PURPOSE
New general purpose account line, which in 2016 represented just under four-fifths of all new
line, exceeded 2005 and 2006 levels in 2016. Growth was recorded across all credit score tiers
over the past few years, but the biggest driver of growth in overall general purpose line
origination came from superprime, which reached its highest level in 2016. Figures 32 and 33
show the relevant data in more detail.

FIGURE 32: ANNUAL INITIAL GENERAL PURPOSE CREDIT LINE ORIGINATED (CCP)

$400B

$300B

$200B

$100B

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Superprime Prime Near-prime Subprime Deep subprime No score

141 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 33: ANNUAL INITIAL GENERAL PURPOSE CREDIT LINE ORIGINATED, LOWER CREDIT SCORES
(CCP)

$40B

$30B

$20B

$10B

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Near-prime Subprime Deep subprime

PRIVATE LABEL
The private label market presents a different picture. In 2016, total new private label account
line exceeded not only 2008 levels but 2006 and 2007 levels as well. This market has seen a
shift in composition. The superprime share of new private label account line has declined from
around three-quarters pre-recession to around two-thirds in recent years. Meanwhile, the prime
share has increased by several percentage points, and the share represented by each of the three
lower credit score tiers has doubled since 2005. These data are shown in Figures 34 and 35.

FIGURE 34: ANNUAL INITIAL PRIVATE LABEL CREDIT LINE ORIGINATED (CCP)

$150B

$100B

$50B

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Superprime Prime Near-prime Subprime Deep subprime No score

142 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 35: ANNUAL INITIAL PRIVATE LABEL CREDIT LINE ORIGINATED, LOWER CREDIT SCORES (CCP)

$15B

$10B

$5B

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016

Near-prime Subprime Deep subprime

4.2 Credit lines


4.2.1 Total credit line

OVERALL
The total amount of line on credit cards is a function of the growth in new credit lines as
discussed above, attrition in existing lines due to account closures (either voluntarily, by the
consumer, or involuntarily, by the issuer) or line reductions, and increases in credit lines on
existing accounts. In aggregate, consumers have over $4 trillion in card credit line as of mid-
2017, as shown in Figure 36. This represents an increase of $0.3 trillion—or 11%—since mid-
2005, although total line still remains below its mid-2008 high of $4.4 trillion.

The increase since 2010 has been steady and experienced by consumers in every credit score tier.
Consumers with subprime and deep subprime scores, however, have seen their aggregate credit
line increase at less than half the rate of every other tier. Also notable is that between mid-2010
and mid-2017, consumers without credit scores experienced a 99% increase in line. The
distribution of total credit line across credit score tiers has been stable since 2010, as Figure 38
shows, with aggregate credit line for consumers with superprime and prime credit scores still
comprising 95% of the total as of mid-2017.

143 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 36: TOTAL CREDIT LINE (CCP)

$4T

$3T

$2T

$1T

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime Subprime Deep subprime No score

FIGURE 37: TOTAL CREDIT LINE, LOWER CREDIT SCORES (CCP)

$320B

$240B

$160B

$80B

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Near-prime Subprime Deep subprime

144 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 38: SHARE OF TOTAL CREDIT LINE (CCP)

100%

80%

60%

40%

20%

0%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime Subprime Deep subprime No score

GENERAL PURPOSE
General purpose cards represent most of the line on consumer credit cards, with total line
nearing $3.5 trillion by mid-2017. General purpose line has grown steadily since 2010. Although
it does not yet match its pre-recession peak, there has been substantial growth not just overall
but within each credit score tier and the total now exceeds the 2005 level. These data are shown
in Figures 39 and 40.

FIGURE 39: TOTAL GENERAL PURPOSE CREDIT LINE (CCP)

$4T

$3T

$2T

$1T

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime Subprime Deep subprime No score

145 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 40: TOTAL GENERAL PURPOSE CREDIT LINE, LOWER CREDIT SCORES (CCP)

$250B

$200B

$150B

$100B

$50B

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017

Near-prime Subprime Deep subprime

PRIVATE LABEL
Since mid-2005, private label line has grown 5%, or roughly $22 billion, but has not yet
returned to its previous peak level recorded in 2007. Since the mid-2012 nadir, private label line
has grown by nearly 70%, growth experienced more-or-less evenly by every credit score tier.
These data are shown in Figures 41 and 42.

FIGURE 41: TOTAL PRIVATE LABEL CREDIT LINE (CCP)

$750B

$500B

$250B

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime Subprime Deep subprime No score

146 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 42: TOTAL PRIVATE LABEL CREDIT LINE, LOWER CREDIT SCORES (CCP)

$75B

$60B

$45B

$30B

$15B

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Near-prime Subprime Deep subprime

4.2.2 Credit line per account and per consumer

GENERAL PURPOSE
Figure 43 shows that for nearly every credit score tier, average general purpose credit line per
account has steadily decreased from pre-recession highs. Consumers with superprime scores,
however, have average lines per account only 1% below the late-2007 high and higher than the
level in mid-2005.

FIGURE 43: AVERAGE GENERAL PURPOSE CREDIT LINE PER ACCOUNT (CCP)

$12,000

$10,000

$8,000

$6,000

$4,000

$2,000

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime No score
Overall

147 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Among all credit score tiers, general purpose credit line per consumer fell in the period during
and following the recession, as shown in Figure 44. At this consumer level, general purpose line
began steadily increasing across all credit tiers from 2012 or 2013.

FIGURE 44: AVERAGE GENERAL PURPOSE CREDIT LINE PER CONSUMER (CCP)

$35,000

$30,000

$25,000

$20,000

$15,000

$10,000

$5,000

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime No score
Overall

PRIVATE LABEL
Figure 45 shows that the average line on private label cards has grown steadily across all credit
tiers since 2013. Figure 46 shows that average private label credit line per consumer has
exhibited a path similar to average private label line per account. Between the final quarter of
2016 and the second quarter of 2017, both of these metrics reached the highest level we can
observe, both overall and for each credit score tier.

148 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 45: AVERAGE PRIVATE LABEL CREDIT LINE PER ACCOUNT (CCP)

$4,000

$3,000

$2,000

$1,000

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime No score
Overall

FIGURE 46: AVERAGE PRIVATE LABEL CREDIT LINE PER CONSUMER (CCP)

$8,000

$6,000

$4,000

$2,000

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime No score
Overall

149 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
4.2.3 Unused line and utilization

UNUSED LINE
Most credit available to consumers on credit cards goes unused. Even as balances continue to
grow, consumers collectively have access to $3.2 trillion in unused line, more than they have had
at any point since the end of 2008 and more than they had in mid-2005. As shown in Figure 47,
since unused line bottomed out in late 2010, it has grown by nearly 30%. Each credit score tier
has seen growth of at least 20% in unused line since its respective low point.

FIGURE 47: TOTAL UNUSED CREDIT LINE (CCP)

$4T

$3T

$2T

$1T

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime Subprime Deep subprime No score

As shown in Figure 48, consumers with superprime credit scores have significantly higher
volumes of unused credit on average than consumers in other credit score tiers. In the second
quarter of 2017, average unused credit for consumers with superprime scores exceeded $17,000,
a figure more than double that of consumers with prime scores. Since 2012, consumers in most
tiers have seen their unused line increase by double-digit percentages. The sole exception is
consumers with deep subprime scores, who have seen almost no change in average unused
credit line, despite the net increases in private label credit line observed in Figure 46 above.

150 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 48: AVERAGE UNUSED CREDIT LINE (CCP)

$20,000

$15,000

$10,000

$5,000

$0
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime No score
Overall

UTILIZATION
Utilization rates, the share of credit line accounted for by outstanding balances, are a key metric
in assessing the dynamics of the credit card market. In particular, it is among the most useful
barometers of the balance between credit supply and credit demand. If increases in consumer
demand in the aggregate exceed the willingness of issuers to offer commensurate increases in
available line, either through the origination of new accounts or by increasing existing lines,
utilization will increase. If the opposite is true, utilization decreases.25

25Economists have suggested that consumers’ utilization preferences are quite stable, such that increases in credit
line accompany increases in debt. See, e.g., Scott Fulford & Scott Schuh, Why is Credit Utilization Stable?
Precaution, Payments, and Credit Cards Over the Business Cycle and Life Cycle, Consumer Fin. Prot. Bureau (Dec.
2016), available at https://huntsman.usu.edu/qsps/files/manuscripts/manuscripts-2017/Fulford.pdf.

151 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 49: UTILIZATION (CCP)

90%

60%

30%

0%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime No score
Overall

Figure 49 examines average utilization for each credit score tier, as well as for all consumers.
Utilization has been stable since 2009 to 2010, both overall and within each credit score tier.
This is notable especially in light of evidence later in this section that issuers increasingly rely on
line management as a risk management tool. Figure 5o shows very similar results for average
general purpose utilization.

FIGURE 50: GENERAL PURPOSE UTILIZATION (CCP)

90%

60%

30%

0%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime No score
Overall

152 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 51: PRIVATE LABEL UTILIZATION (CCP)

60%

40%

20%

0%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime No score
Overall

Figure 51 shows that average private label utilization has overall been stable since 2013. Average
utilization on both private label and general purpose cards has settled into higher levels than
either displayed over the period from 2005 through 2009. All credit score tiers have lower
private label utilization than they do general purpose utilization.

4.2.4 Credit line changes


Credit lines are not static. Issuers can increase or decrease them—without consumer consent, if
the issuer so chooses. Following the CARD Act, however, some credit line increases (but not
decreases) are blocked by law if they cannot satisfy ATP requirements.26

In the case of credit line increases (“CLIs”), issuers sometimes increase lines in response to
consumer requests. These are “reactive” credit line increases (“RCLIs”). Sometimes issuers
increase a line even without the consumer’s request. These are “proactive” credit line increases
(“PCLIs”). In almost all cases credit line decreases (“CLDs”) are proactive, and made in response

26 See 15 U.S.C. § 1665e.

153 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
to a perceived increase in an account’s credit risk or a shift in an issuer’s overall risk appetite.
This section examines CLI and CLD rates, and compares RCLI and PCLI practices.

OVERALL
Figure 52 shows the quarterly incidence of line increases and decreases on general purpose
accounts.27 Overall, CLI incidence has increased substantially in recent years after a severe
reduction through the recession.28 The incidence of CLDs rose sharply during the recession, but
has now declined to roughly its pre-recession level.

FIGURE 52: QUARTERLY CLI AND CLD INCIDENCE FOR GENERAL PURPOSE ACCOUNTS (CCP)

9%

6%

3%

0%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017

Credit line increases Credit line decreases

27
Credit lines are much more rarely increased or decreased on private label cards. Fluctuations in CLI and CLD rates
on these accounts, therefore, are less indicative of broader trends in the availability of card credit.

28In past reports, we derived our rates of credit line increases and decreases from data in which issuers explicitly
reported cycles during which credit lines were increased or decreased. The CCP does not include such a “flag.” As a
result, we constructed this measure from the data, comparing credit lines from one cycle to the next. This change in
methodology, as well as shifting to a new data source that captures effectively all of the market, means our measure
of CLI and CLD rates may not align perfectly with measures we reported in our 2013 and 2015 Reports.

154 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
REACTIVE CREDIT LINE INCREASES
Consumers apply for millions of RCLIs every year, as shown in Figure 53. Because the CCP does
not distinguish between RCLIs and other credit line increases, and does not report the total
number of applications for credit line increases, we rely here on our MMI data, which we again
note represent less than the full market. In our 2015 Report, which also relied on MMI data, we
found that the overall approval rate for RCLI requests was 37% across 2013 and 2014. Around
3% of such applications were denied for ability-to-pay (“ATP”) reasons.29

Our current data show a slightly lower approval rate of 34% for RCLI requests, with relatively
little variation across card type. The ATP denial rate for RCLIs also fell in this later period,
comprising just 2% in 2015 and 2.4% in 2016. These rejections were concentrated in the general
purpose and retail co-brand space. Only 0.5% of all private label RCLI requests were rejected for
ATP reasons. In almost all cases, RCLI rejections were driven by the consumer failing to clear
the issuer’s substantive ATP thresholds rather than its ATP information requirements.30

FIGURE 53: RCLI REQUESTS AND APPROVALS, 2016 (SHADED AREA REPRESENTS APPROVALS) (MMI)

25M

20M

15M

10M
35%

5M 34%
33%
0
General purpose Private label Retail co-brand

29 2015 Report, at 114. This is an ATP denial rate, not an ATP rejection share. See Section 4.1.3.

30An issuer will reject a new account application or a CLI for ATP reasons in two circumstances. First, the issuer lacks
sufficient information about the consumer to assess whether or not they have the requisite ATP. Second, the issuer
has enough information to do this, but the information shows that the consumer lacks the requisite ATP.

155 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
PROACTIVE CREDIT LINE INCREASES
Most issuers do not increase credit lines only when qualified consumers request more credit.
Instead, they routinely assess their portfolios to identify accounts that would profitably support
a proactive credit line increase—consistent with the issuer’s risk tolerance, revenue projection,
and ATP requirements. Accounts that meet predetermined issuer tests and conditions are
automatically granted a PCLI. These programs are large in scope. In 2016 alone, issuers
reviewed accounts for PCLI eligibility several billion times.

Issuers apply a variety of inputs and thresholds to determine PCLI eligibility. They often
consider account use and payment behaviors, as well as projected risk and revenue potential
under the increased line scenario, and the CLI record of the account. The issuer may also check
for any updates to the consumer’s credit score and self-reported income.

PCLI practices vary substantially across issuers. The primary driver of this variance is the
frequency with which issuers assess accounts for PCLI eligibility. Most issuers review accounts
at regular intervals, with once a month being most common. Some issuers review more
frequently than that. Given these differences across issuers, we primarily look at data at the
account level, and we count an account as being reviewed for a PCLI if it was reviewed at least
once during the calendar year, regardless of how many times any given account was actually
reviewed. Likewise we count it as being awarded a PCLI so long as it was awarded at least one
during the calendar year.

As Figure 54 shows, PCLI programs have a larger scope and effect than RCLI programs. Over
the course of 2016, more than 12 times as many accounts were reviewed for PCLIs as requested
RCLIs. While the share of reviewed accounts that were extended a PCLI at least once was lower
than the RCLI approval rate, the scope of these programs still means that the total number of
PCLIs approved in 2016 was well over five times the number of RCLIs. The gap between RCLI
and PCLI incidence is large for all card types. It is starkest, however, for private label and retail
co-brand accounts.

156 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 54: ACCOUNTS REVIEWED FOR A PCLI, 2016 (SHADED AREA REPRESENTS ACCOUNTS
GRANTED A PCLI) (MMI)

200M

150M

100M

50M
16%
11%
7%
0
General purpose Private label Retail co-brand

The effect of ATP requirements on PCLI programs is larger than it is on RCLI programs. As we
noted in our previous report, some—but not all—prudential regulators restrict issuers from
using “modeled income” for ATP purposes. Using income models, some issuers can generate an
income estimate even in the absence of reported income. Others, for supervisory reasons,
cannot.31 Issuers that cannot use modelled income can only approve PCLIs if they can secure
reported income—for example, by asking the consumer to report their income in order to take
advantage of a potential line increase. Although issuers can generally obtain reported income
from consumers at origination or if the consumer affirmatively requests a credit line increase,
maintaining a regular flow of self-reported income to support potential PCLIs is much more
challenging, at least for some issuers. As a result, our 2015 Report noted that issuers that were
not subject to modelled income restrictions reported a much smaller overall effect of ATP
requirements on their PCLI programs.32

Our current data generally confirm the relevant findings from our prior report. Specifically, we
find that the lack of consumer-reported income information is the cause of more than 90% of

31 See 2015 Report, at 115-117.

32 Id. at 116. Some commenters stated that this issue continues to impede the granting of PCLIs. See, e.g., ABA
Comment Letter, at 7-8.

157 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
ATP-driven PCLI declines. Our 2015 Report also noted evidence that issuers may be finding
methods to negotiate this challenge more effectively.33 The evidence available to us for this
report suggests this trend has continued to the present, as the ratio between the number of PCLI
reviews that could not proceed due to lack of income information and the number of PCLIs
awarded was significantly smaller in 2015 and 2016 than it was in 2013 and 2014.

4.2.5 Credit line management


As noted in Section 3, the CARD Act restricts various forms of repricing and controls penalty
fees, which are both forms of pricing that can be used by issuers to respond to revealed risk post-
origination.34 Although the Act limited issuers’ ability to use those specific tools for risk
management, issuers may have replaced them with another risk management tool—specifically,
extending smaller credit lines to borrowers at origination, then increasing those lines over time
as borrowers demonstrate good payment behavior.35 We assess this possibility empirically in
two ways, finding some evidence to support it.

First, we look at the share of all credit line increases awarded to newer accounts. Issuers
generally only rely on income stated at the time of application for up to a year. If an issuer is
using line to control risk, they will have a one-year window post-origination to issue PCLIs to
“top up” smaller initial lines without obtaining new income information.36 Second, we review

33 See 2015 Report, at 116-117.

34Some critics of the CARD Act contended that it left card issuers with too few tools to manage risk. See, e.g., ABA
Comment Letter, at 2. Accordingly, some commenters contended that the CARD Act has forced issuers to control
risk by limiting credit, whether in terms of originating fewer accounts or in originating smaller lines. See, e.g., ABA
Comment Letter, at 4-6; Auriemma Comment Letter, at 6-9. CARD Act proponents contend that issuers relied on
these kinds of tools at the expense of adequate upfront risk management, resulting in lax underwriting and
unpredictable back-end costs to consumers.

35One leading industry association stated that line management of this kind “has replaced [pre-CARD Act repricing
practices],” and “has helped issuers expand access to credit while managing risk.” See ABA Comment Letter, at 5.

36
If they can obtain refreshed income from some source (such as the consumer), they may be able to extend this
window, or open additional windows, beyond this point. But since they cannot be assured they will succeed in this,

158 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
trends in average line on accounts that have existed long enough to reveal more risk information
than is true for new accounts, and compare them to lines near origination.

Figure 55 below shows that the first-year share of all CLIs has generally been somewhat higher
in recent years than in the period before the recession and the implementation of the CARD
Act.37 The first-year CLI share has always been high among lower score tiers. The growth in the
overall first-year CLI rate, however, has been driven by increases in higher score tiers. This
suggests that, if issuers are using line management as a risk management tool, the frequency of
credit line increases may only provide partial insight into this practice.

FIGURE 55: SHARE OF CREDIT LINE INCREASES GRANTED TO ACCOUNTS LESS THAN ONE YEAR OLD
(CCP)

40%

30%

20%

10%

0%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime Overall

We also observe the parallel metric for credit line decreases. In Figure 56 below, we indeed
observe that rates of first-year CLDs are higher both overall, and for each credit score tier, than

all other factors being equal, one would expect issuers to find it easier to increase lines in the first year of an
account’s life rather than in later years.

37The figure does not—because the CCP data do not let us—differentiate RCLIs from PCLIs. Given that PCLIs
consistently make up an overwhelming share of all CLIs, however, this is only a minor concern.

159 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
before the recession and the CARD Act, though again not starkly so. The high rates we observe
in earlier periods, combined with the higher overall incidence of CLDs we observed above in the
years surrounding the recession, lead us to interpret this with some caution.

FIGURE 56: SHARE OF ALL CREDIT LINE DECREASES OCCURING ON ACCOUNTS LESS THAN ONE YEAR
OLD (CCP)

40%

30%

20%

10%

0%
2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime Overall

We then turn to observe average lines on general purpose accounts that are exactly 13 months
old—just past the one-year mark. We find that, while average new general purpose lines for each
credit score tier have generally not returned to pre-recession levels (despite recent growth),
average 13-month-old lines did so by mid-2017 for consumers in every credit tier. In fact,
average 13-month-old lines for all three lower credit score tiers exceed their 2006 levels even as
average new lines lag those levels for all three tiers. This result appears to show some support
for the notion that credit line management is playing a larger role in risk management than
before the CARD Act and the recession.

160 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 57: AVERAGE CREDIT LINE ON 13-MONTH-OLD GENERAL PURPOSE ACCOUNTS (CCP)

$10,000

$7,500

$5,000

$2,500

$0
2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime Overall

Our final method for examining this practice compares average 13-month-old lines with average
new lines during the period those lines were originated. For example, we compare average 13-
month-old lines in the second quarter of 2017 with average new lines in the second quarter of
2016.38 We find that that this measure has ballooned in recent years, especially for consumers in
the lower score tiers, though prime lines have seen some increase by this measure as well. The
relevant data are in Figure 58.

38Our method here does not account for those accounts that have closed or charged off during the intervening year.
This makes our measure only illustrative, not dispositive.

161 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 58: AVERAGE CREDIT LINE ON 13-MONTH-OLD GENERAL PURPOSE ACCOUNTS, RELATIVE TO
AVERAGE CREDIT LINE ON NEW ACCOUNTS ORIGINATED 13 MONTHS PRIOR (CCP)

60%

40%

20%

0%

-20%
2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Superprime Prime Near-prime
Subprime Deep subprime Overall

While only suggestive, these findings appear to support the possibility that in recent years
issuers are relying more on line management to manage their risk. Certainly, the evidence
provides no reason to doubt such a possibility.

162 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
5. Credit card issuer practices
In the CARD Act, Congress directs the Bureau to review “the terms of credit card agreements
and the practices of credit card issuers” and “the effectiveness of disclosure of terms, fees, and
other expenses of credit card plans.”1 This is a broad mandate. In the past, the Bureau has met it
by focusing on a number of specific disclosures and other practices. Thus, our 2013 and 2015
Reports have noted indications of the CARD Act’s effect on cardholder agreements and periodic
statements; the length and readability of cardholder agreements; risk-based pricing and
repricing; the variance in and prevalence of various pricing practices, including grace periods,
late fees, minimum payment structures, and minimum finance charges; digital account
servicing; issuer provision of credit scores to cardholders; and practices relating to the CARD
Act’s ability-to-pay provisions. In addition, our 2015 Report included a number of separate
sections that looked at deferred interest promotions, credit card rewards, and debt collection.
These sections also addressed that broad mandate.

For this report’s iteration of this section, we again select several topics under the “terms,
practices, and disclosure” mandate for additional review. Two of those topics—digital account
servicing and issuer provision of credit scores—extend analyses from our 2015 Report. We also
cover two additional topics: balance transfers and how complicated credit card products are. In
addition, this report contains three practice-specific sections: one on products marketed to
consumers who lack prime scores; another on third-party comparison sites; and a final one on
debt collection. Debt collection, too, is a repeat focus from our 2015 Report.

5.1 Digital account servicing


As we discuss throughout this report, digital tools, platforms, and media are not just increasing
their share of activity throughout the existing credit card lifecycle—in many ways, they are

1 15 U.S.C. § 1616(a)(1)-(2).

163 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
reshaping that lifecycle.2 The effect of digital tools is particularly strong and clear in account
servicing, which is central to the cardholder experience.

In this section, we draw on MMI data to examine how consumers use digital account servicing
platforms—online account servicing portals (“online portals”) and smartphone-based account
servicing applications (“mobile apps”). Many important aspects of the consumer digital
experience are difficult to quantify. As a result, we conclude this section by briefly reviewing
some recent developments qualitatively.

Note that this section also relies on the three-way distinction between “general purpose,”
“private label,” and “retail co-brand” that we discuss in greater detail in Section 4.1.2. We will
not repeat that definitional discussion here, but we will note that this means that the term
“general purpose” in this specific section, Section 5.1, differs in meaning from most of the rest of
the report.

5.1.1 Enrollment and account information


Figure 1 shows the share of active mass market credit card accounts enrolled in issuers’ online
portals. As of 2016, a majority of active accounts are enrolled in online portals for all three
categories of account—general purpose, private label, and retail co-brand. Overall, the share of
active accounts enrolled in issuers’ online portals grew from just under 58% in 2015 to over 60%
in 2016. In our 2015 Report we reported that the share was 55% in 2014.3 The gap between
general purpose cards and store cards—both private label and retail co-brand cards—is
significant.

2 Credit card solicitations and applications through digital channels are discussed in Section 4.1.1 & 4.1.2, and mobile
payments are covered in Section 9.2.2. This report also includes a deeper review of one particular digital channel
used by issuers to solicit applications—third-party comparison sites—in Section 7.

3 2015 Report, at 133.

164 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 1: SHARE OF ACTIVE ACCOUNTS ENROLLED IN ONLINE PORTALS (MMI)

75%

50%

25%

0%
General purpose Private label Retail co-brand
2015 2016

The share of active accounts enrolled in issuers’ mobile apps is shown below, in Figure 2. Only a
minority of accounts are enrolled across all three card categories. The gap between general
purpose and store cards is even starker, though we observe growth in all three categories. There
is also a higher rate of enrollment here in retail co-brand cards compared to private label cards,
which is not the case for online portals. No individual issuer we surveyed reported a decrease in
the share of active accounts enrolled in a mobile app for any of the three categories between
2015 and 2016. Taken together, the share of active accounts enrolled in issuers’ mobile apps
grew from less than 17% in 2015 to nearly 20% in 2016. In our 2015 Report we found that share
to be just over 15% in 2014.4

FIGURE 2: SHARE OF ACTIVE ACCOUNTS ENROLLED IN MOBILE APPS (MMI)

30%

20%

10%

0%
General purpose Private label Retail co-brand
2015 2016

4 Id.

165 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
We also asked issuers how many of their active accounts had opted to receive periodic
statements electronically and not also in paper form. Figure 3 shows the share of active accounts
for which the cardholder had elected to receive no paper statements, but only electronic ones.
Here, as with online portal and mobile app utilization, we see a higher share of general purpose
cards opting out of paper statements. We also see the same steady increase in share across all
three categories of accounts. Taken together, the share of active accounts opting to receive only
electronic periodic statements grew from 30% in 2015 to 33% in 2016. In 2015, we found that
share to be 28% in 2014.5

FIGURE 3: SHARE OF ACTIVE ACCOUNTS RECEIVING ONLY ELECTRONIC STATEMENTS (MMI)

40%

30%

20%

10%

0%
General purpose Private label Retail co-brand
2015 2016

As we noted in our 2015 Report, consumers who use digital platforms can open and download
electronic versions of their statements, but they do not need to do so in order to see certain core
information like payment amounts, due dates, and detailed transaction histories. Outside of that
downloaded file, however, a digital platform does not necessarily present the consumer with all
of the same information and disclosures that a periodic statement does. While digital platforms
contain a number of electronic functionalities that the downloadable statement does not (like
the ability to search through one’s transactions with greater precision and flexibility), they may
lack some of the information required by the CARD Act to appear on statements to help
consumers avoid late payments and increase their payment rates. Of course, digital platforms

5 2015 Report, at 134.

166 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
may offer other features and functionalities that speak to these same goals. We discuss issues
relating to disclosures and digital servicing in more detail in Section 5.1.4.

5.1.2 Payments
Online portals and mobile apps allow consumers to make payments on their accounts. After
entering their deposit account information, consumers can authorize non-recurring one-time
payments or recurring “automatic” payments. For a one-time payment, consumers can generally
enter any payment amount and payment date they want. For automatic payments, all issuers we
surveyed allowed consumers to choose their full statement balance or their minimum payment
amount. Many, but not all, also allowed consumers to choose a different, fixed payment amount
rather than the full balance or minimum payment.

FIGURE 4: SHARE OF ACTIVE ACCOUNTS ENROLLED IN AUTOMATIC PAYMENTS AT YEAR-END (MMI)

18%

12%

6%

0%
2015 2016 2015 2016 2015 2016
General purpose Private label Retail co-brand
Full payment Minimum payment Other payment

Figure 4 shows the share of accounts in each category that issuers reported as enrolled in
automatic payments as of the end of 2015 and 2016. Despite their lower rates of enrollment in
digital account servicing platforms generally, private label accounts had the highest rates of
automatic payment enrollment. However, private label accounts also had the lowest rates of
automatic payments-in-full. Instead, we observe that they had rates of automatic minimum
payments and automatic “other” payments substantially higher than other cards. The latter may
be explained by the prevalence of deferred interest promotions on these accounts. While our
digital account servicing data do not address this directly, it may be that some consumers use
private label account servicing portals to “set-and-forget” payments against a deferred interest

167 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
promotion, presumably at a level intended to pay off the promotion during the promotional
period.

The prevalence of recurring minimum payments on private label accounts may be explained by
one or both of two phenomena. As we discuss in Section 2.2, the credit score composition of
private label card portfolios is lower than it is for general purpose cards. Consumers with lower
scores generally exhibit lower payment rates, which would explain a higher rate of minimum
payments in the portfolio. But that would not necessarily explain a higher rate of automatic,
digitally-enabled minimum payments. Instead, it may be that this is also a deferred interest-
related phenomenon.6 In our 2015 Report, we found that many consumers who pay off their
deferred interest promotions—as well as many who do not—make the bulk of their payments in
the promotion’s final two cycles. It seems credible that a significant number of such consumers
may set minimum payments against the account for most of its lifecycle, and then make a single,
large ad hoc promotion-extinguishing payment nearer the expiration date.

Beyond the distinctive dynamics of private label accounts, what may be most notable about the
rate of automatic payment enrollment is how low it is. Even looking only at those accounts
enrolled in online service portals, one-fifth of general purpose accounts were enrolled in any
kind of automatic payment at year-end 2016. Put another way, despite substantial growth over
2015 rates, the 2016 share of general purpose accounts enrolled in automatic payments was
lower than the average quarterly share of general purpose accounts that incurred a late fee in the
same year.

6 It seems unlikely that consumers with lower scores would have a disproportionately high enrollment in automatic
payments given that lower-score accounts are the likeliest to pay late. A key benefit of automatic payments is the
avoidance of late or insufficient payments; consumers who avoided such payments routinely would presumably
have lower late fee incidence, and perhaps also higher credit scores.

168 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 5: SHARE OF ACTIVE ACCOUNTS THAT MADE AT LEAST ONE NON-AUTOMATIC PAYMENT VIA
ONLINE PORTAL OR MOBILE APP (MMI)

60%

40%

20%

0%
General purpose Private label Retail co-brand

2015 2016

The share of accounts that made at least one ad hoc payment via a digital account servicing
platform over the course of the year is markedly higher than the rate of automatic payment
enrollment.7 In 2016, mass market issuers’ customers made nearly 1.4 billion one-off payments
against their credit cards via digital channels.8 These payments had a relatively high per-account
frequency. On average, accounts that engaged in non-automatic payment activity via digital
servicing platforms did so in over half of their annual billing cycles in 2016, a figure that rises to
nearly two-thirds for general purpose accounts. That likely indicates that a substantial number
of consumers always pay digitally—but on an ad hoc basis, instead of via recurring automatic
payments.9

7 Note that these data only include payments initiated from the card issuers’ digital account servicing platforms. They
do not include payments that may have been originated digitally from a consumer’s deposit account.

8 This number is a floor because we asked issuers that provided data to count all payments on an account made within
a single cycle as a single payment. For example, if a consumer made an ad hoc payment every week, that would
count as 12 payments over the course of a year, not 52 payments. As a result, the 1.4 billion figure is technically the
number of billing cycles during which consumers made at least one ad hoc payment using digital channels provided
by the issuers. Framed this way, we can also observe that in 2016 more than one-quarter of mass market account-
cycles had at least one ad hoc digital account servicing payment.

9 Consumers enrolled in automatic payments also can and do make ad hoc payments. Our aggregate data do not allow
us to determine the amount of overlap between automatic and one-off payments. It is possible that at least some

169 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 6: SHARE OF NON-AUTOMATIC PAYMENTS VIA ONLINE PORTAL OR MOBILE APP BY PAYMENT
AMOUNT (MMI)

100%

75%

50%

25%

0%
2015 2016 2015 2016 2015 2016
General purpose Private label Retail co-brand
Full payment Minimum payment
Greater than the minimum, less than full Less than the minimum

As shown in Figure 6, these payments amounted to the minimum payment with relative
infrequency during most cycles, though the minimum payment rate was higher on private label
cards. Instead, payments were predominantly for amounts between the minimum and full
payment, with full payment close behind in frequency on general purpose and retail co-brand
accounts. Less than 3% of all digitally-facilitated payments over 2015 and 2016 were for less
than the minimum payment.

Automatic payments can provide consumers assurance that their payment will be sufficient and
timely with minimum effort, freeing up their attention for other financial or non-financial
matters. It is possible that at least some consumers who have not already done so would benefit
from enrolling in automatic payments.

It is challenging, however, to assess how many consumers would benefit from automatic
payment enrollment. Consumers with significant credit card debt and little liquidity may put a
premium on controlling the precise timing of flows in and out of their transaction accounts.

consumers are “setting-and-forgetting” minimum payments, then making larger variable ad hoc payments as their
finances allow.

170 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Beyond that, many consumers may prioritize maximizing control over the convenience of
automation.10

5.1.3 Digital account servicing developments


The above metrics cover only basic facts and features relating to digital account servicing.
Digital servicing platforms continue to evolve in power and sophistication, even compared to
our last review two years ago. Today, most consumers who are enrolled in digital servicing can,
with the click of a button (or the tap of a touchscreen) not just review transactions and make
payments, but also transfer balances, request cash advance PINs, activate new cards, request
replacement cards, download their full account statements, send and read messages to and from
account servicing professionals or chat with them in real time, receive information about other
card benefits, add or remove an authorized user from their accounts, inform their issuer of
upcoming travel, report a card lost or stolen, or change their account’s due date.11 Additionally,
those consumers whose accounts are associated with rewards programs are often frequently
provided with additional features, or separate linked platforms, for managing their rewards. As
we discuss in Section 5.2, consumers enrolled in digital account servicing platforms can also
often view information relating to their credit record, including their credit score. Some
consumers can now turn purchase functionality on or off, which is discussed in more detail in
Section 9.3.1.

10 Issuers may be well-placed to identify some consumers who would likely benefit from enrollment in automatic
payments. Issuers have detailed data on their customers’ payment patterns, and may have even more information
on those consumers who also hold other accounts with that issuer beyond their credit card account. As we note
below, more and more issuers are also offering other services to consumers through digital account servicing portals
that take in data about a consumer’s accounts held by other financial service providers. In short, at least some
issuers may have an increasingly complete picture of their customers’ financial lives. Issuers with a high capacity to
leverage that information seem well-positioned to market automatic payment functionality. That may not only
benefit consumers—by reducing late payments and improving payment rates—but may improve the quality of the
issuers’ portfolios as well.

11 Of course, consumers do not do all of these digital activities with equal frequency. One recent survey suggests that
accessing basic account information and making payments are by far the most common tasks consumers perform
when accessing their accounts online, and that a minority of consumers enrolled in mobile apps may even be averse
to taking certain kinds of account actions through digital platforms. See Auriemma Consulting Group, Digital
Servicing and Account Management, Cardbeat U.S. Edition, Q3 2017, at 20-21 (Sept. 2017).

171 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
We have also observed the increasing penetration and sophistication of personal financial
management (“PFM”) tools associated with digital account servicing platforms. These tools are
presented to consumers as ways to understand and navigate not only their current card, but
their broader financial lives as well. At least one major issuer is testing a PFM tool attached to
their credit card digital account servicing platform that aggregates data from across all of a
consumer’s accounts, including those held by other issuers.12 As consumers shift more financial
engagement to the digital realm, we expect that competition focused on digital account servicing
platforms’ scope and features will only become fiercer—and, it seems likely, a more prominent
part of the overall package of features and messaging that issuers use to attract and retain
consumers.13

5.1.4 Going forward


As our 2015 Report observed, digital platforms that allow consumers to access and manage their
accounts can have clear benefits for both consumers and issuers.14 More powerful tools for

12 See Pay Before, Barclays US Tests Personal Finance Tool, (Oct. 4, 2017), available at http://paybefore.com/‌
mobile-emerging-payments/barclays-us-tests-personal-finance-tool.

13 One major third-party comparison site recently released free-standing reviews of eight large issuers’ mobile apps,
independent of the terms and features of any of those issuers’ particular card products. See Kimberly Palmer,
American Express Credit Cards Mobile App Review, NerdWallet Blog (Oct. 6, 2017), https://
www.nerdwallet.com/‌blog/credit-cards/american-express-credit-cards-mobile-app-review; Ellen Cannon, Bank of
America Credit Cards Mobile App Review, NerdWallet Blog (Oct. 6, 2017), https://www.nerdwallet.com/
blog/credit-cards/bank-of-america-credit-cards-mobile-app-review; Paul Soucy, Capital One Credit Cards Mobile
App Review, NerdWallet Blog (Oct. 5, 2017), https://www.nerdwallet.com/blog/credit-cards/capital-one-credit-
cards-mobile-app-review; Gregory Karp, Discover Credit Cards Mobile App Review, NerdWallet Blog (Oct. 2, 2017),
https://www.‌nerdwallet.‌com‌/blog/credit-cards/discover-credit-cards-mobile-app-review; Melissa Lambarena, Citi
Credit Cards Mobile App Review, NerdWallet Blog (Oct. 3, 2017), https://www. nerdwallet.com/blog/credit-
cards/citi-credit-cards-mobile-app-review; Claire Tsosie, Barclaycard Credit Cards Mobile App Review,
NerdWallet Blog (Oct. 2, 2017), https://www.nerdwallet.com/blog/credit-cards/barclaycard-credit-cards-mobile-
app-review; Chanelle Bessette, Chase Credit Cards Mobile App Review, NerdWallet Blog (Oct. 4, 2017),
https://www.nerdwallet.com‌/blog/credit-cards/chase-mobile-app-review-credit-cards; Chanelle Bessette, Wells
Fargo Credit Cards Mobile App Review, NerdWallet Blog (Oct. 4, 2017), https://www.nerdwallet.com/blog/credit-
cards/wells-fargo-credit-cards-mobile-app-review.

14 See 2015 Report, at 135. Multiple industry commenters noted these benefits in response to our RFI. See CFSI
Comment Letter, at 7 (“Consumers who use online and mobile account servicing can benefit from receiving account

172 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
consumers to access and manage their accounts can increase consumer control and lower
servicing costs for issuers—savings that competition may allocate to consumers.

Digital platforms may also present some challenges. Consumers who do not receive paper
statements, but also do not access their statements digitally, may not see required disclosures
containing certain account information, such as the full picture of the fee burden on an account,
or the expected cost of carrying balances over certain lengths of time. In our 2015 Report, we
found that only 10% of active accounts actually opened an online statement in a given quarter.15
Combined with the increasing share of active accounts opting out of paper statements, this
means that, for a significant and growing portion of accounts, the account holder does not see
account statements at all.16

alerts, reminders, and updates, and issuers can use emails and text messages to verify purchases and control
fraud.”); CBA/FSR Comment Letter, at 7 (“Online and mobile account servicing platforms are making it easier for
consumers to monitor their credit card transactions, identify fraud and initiate error resolution procedures, make
payments, and otherwise manage their accounts.”); ICBA Comment Letter, at 7 (“Community bank credit card
issuers report that digital servicing is generally more secure than mailing paper statements to a cardholders’
residence, and allows for more information to be archived for cardholder access for extended periods of time.”);
Discover Comment Letter, at 5 (“Having the ability to easily access updated account information enables customers
to better manage their balances and receive helpful reminders about the status of their accounts.”).

15 2015 Report, at 134.

16 One commenter that advocated for paper statements noted the risks this trend can pose to consumers who do not
have home broadband internet access and may therefore have limited means of accessing electronic statements. See
NCLC Comment Letter, at 4 (“Electronic statements create barriers for consumers to access vital information
because it takes effort to remember the task, find the free time, go to the correct webpage, remember their password,
and download the document – as opposed to simply opening an envelope.”). Several industry commenters
disagreed, noting that access to an electronic archive of account statements allows consumers to retrieve account
information when and where they need it. See, e.g., ICBA Comment Letter, at 7 (“While some cardholders might not
be reviewing electronic disclosures on a regular basis, these disclosures are archived and remain available to the
cardholder. By contrast, paper disclosures are frequently discarded by cardholders and are not readily available
should the cardholder later have questions about the administration of the account.”); CBA/FSR Comment Letter,
at 7 (“Indeed, the core purposes of periodic statements are being fulfilled by online and mobile account servicing
platforms: monitoring transactions for errors and fraud; receiving payment information and related disclosures;
receiving cost and fee information; and making a retainable copy of periodic statements available.”).

173 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
5.2 Credit score access
Credit scores have a tremendous effect on consumers’ access to credit as well as on the terms of
credit available to them. Most creditors, including most credit card issuers, use credit scores
when deciding whether, and under what terms, to extend credit to a consumer. Issuers also rely
on credit scores when they examine existing accounts for eligibility for credit line increases,
other promotions, or adverse actions such as credit line decreases and account closures.

Despite their importance in consumers’ financial lives, credit scores traditionally have not been
especially accessible to them. Although consumers have the right to request a free copy of their
credit report every 12 months from each of the three largest credit reporting agencies, only a
minority of consumers exercise that right in practice.17 Further, there is no analogous consumer
right for consumers to routinely access their credit scores for free.

Routine access to credit scores has the potential to benefit consumers in multiple ways. If scores
are lower than expected, consumers may take the initiative to request their credit reports,
address concerns, investigate errors or fraud-related entries, or improve negative aspects of
their credit usage. They may also be less likely to become delinquent or to default on their
accounts, and to take other action to protect or improve their credit standing. Consumers who
improve their scores may gain greater access to more affordable credit options and experience
measurable improvement in their financial lives.

In 2013, several credit card issuers began offering customers free access to a credit score
through the newly established FICO Score Open Access program.18 As of April 2017, the Fair
Isaac Company reported that over 100 financial institutions were providing free credit score

17 See 15 U.S.C. § 1681j(a)(1)(A); 12 C.F.R. part 1022; see also Free Annual File Disclosures, 75 Fed. Reg. 9726 (Mar. 3,
2010) (to be codified at 16 C.F.R. part 610). See also Consumer Fin. Prot. Bureau, Consumer Voices on Credit
Reports and Scores, at 7 (Feb. 2015), available at https://www.consumerfinance.gov/data-research/research-
reports/consumer-voices-on-credit-reports-and-scores (“. . . roughly 90 percent of the eligible population does not
take advantage of this free benefit in a given year.”).

18 See Press Release, FICO, FICO Makes Free FICO Scores Available to Millions (Nov. 4, 2013), available at
http://www.fico.com/en/newsroom/fico-makes-free-fico-scores-available-to-millions-11-04-2013.

174 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
access to more than 200 million customer accounts.19 Many institutions are also offering free
credit score access to their auto loan, student loan, mortgage, or online banking customers.
Some institutions have begun offering free credit score access to all consumers, even those who
do not have an existing relationship with the institution.20 VantageScore, another credit scoring
company, also partners with third parties to provide free credit scores to those parties’
customers, noting that those parties have combined “subscriber bases as high as 60 million.”21
(The Bureau maintains a list on its website of credit card issuers that self-identify to the Bureau
as making free scores available to their customers.22)

In our mass market issuer survey, we asked issuers what portion of their active accounts were
eligible to view their credit scores via the issuer’s online portal or mobile app, as well as what
portion of accounts receive their credit score on paper statements. Most issuers provided some
portion of their general purpose cardholders with online or mobile access to their credit scores.
With one significant exception, providing consumers with their credit score on paper statements

19 Press Release, FICO, FICO Score Open Access Reaches Milestone of 200 Million Consumer Financial Credit
Accounts (Apr. 11, 2017), available at http://www.fico.com/en/newsroom/fico-score-open-access-reaches-
milestone-of-200-million-consumer-financial-credit-accounts-04-11-2017.

20 See, e.g., BusinessWire, CreditWise from Capital One Now Available to Everyone, (Mar. 10 2016), available at
http://www.businesswire.com/news/home/20160310006403/en/CreditWise-Capital; Ann Carrns, Discover Offers
No-Strings FICO Score, N.Y. Times (May 25, 2016), available at https://www.nytimes.com/2016/05/26/your-
money/discover-offers-no-strings-fico-score.htm; Experian, Your Experian Credit Report and FICO Score are
Completely Free. See Them Now!, freecreditscore.com, https://www.freecreditscore.com (last visited Dec. 4, 2017).

21 VantageScore, Explore Credit Scoring - Where to Get a Credit Score, https://your.vantagescore.com/where-to-go


(last visited Dec. 4, 2017). One increasingly prominent class of consumer credit score access providers are third-
party comparison sites, a phenomenon we discuss in more detail in Section 7.

22 See Maria Jaramillo, Check Our New List to See if Your Credit Card Offers Free Access to One of Your Credit
Scores, Consumer Fin. Prot. Bureau Blog (Mar. 2, 2017), https://www.consumerfinance.gov/about-us/blog/check-
our-new-list-see-if-your-credit-card-offers-you-free-access-one-your-credit-scores. The Bureau is presently
updating that list, and companies can self-identify through January 12, 2018. See Maria Jaramillo, Add Your
Company to the List of Sources for Free Credit Scores, Consumer Fin. Prot. Bureau Blog (Nov. 13, 2017),
https://www.consumerfinance.gov/about-us/blog/add-your-company-list-sources-free-credit-scores. The Bureau
is also soliciting comment from providers and users of free scores. See Maria Jaramillo, Has Having More Access to
Free Credit Scores Made a Difference? Let Us Know!, Consumer Fin. Prot. Bureau Blog (Nov. 13, 2017),
https://www.consumerfinance.gov/about-us/blog/has-having-more-access-free-credit-scores-made-difference-let-
us-know.

175 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
was an uncommon practice. No issuer we surveyed charged consumers a fee for accessing their
credit score.

Figure 7 below shows the share of general purpose accounts eligible to view their credit score via
an online portal or mobile app for free as well as the share that accessed or viewed their credit
score at least once over the course of the year. We do not display data for store cards because
eligibility is extremely low. Credit score access is, with few exceptions, a general purpose
phenomenon.

FIGURE 7: SHARE OF GENERAL PURPOSE ACCOUNTS ELIGIBLE TO ACCESS FREE CREDIT SCORE AND
SHARE WHICH ACCESSED THEIR CREDIT SCORE AT LEAST ONCE DURING THE YEAR (MMI)

60%

40%

20%

0%
2015 2016
Accounts eligible to view their credit score Accounts that viewed their credit score

There was sharp growth in both eligibility and uptake from 2015 to 2016, around 35% and
around 40%, respectively. In both 2015 and 2016, uptake was much lower than eligibility. In
both years, just over one-third of eligible accounts accessed or viewed their credit scores at least
once. Given that two-thirds of accounts were eligible by 2016, however, this means that nearly
one-quarter of all general purpose accounts accessed their scores at least once during the year.

These figures are all at the account level, not the consumer level. As discussed in more detail in
Section 2.3.2, most cardholders have more than one credit card account. As a result, they may
well hold several accounts that provide free credit score access. Furthermore, as noted above,
some market players now offer free credit score access to consumers without requiring those
consumers to hold an account with them. As a result, it is difficult to draw definitive conclusions
from these data about what share of consumers are actually making use of the increasing
availability of free credit score access. Nevertheless, our data show that over 50 million accounts
accessed their credit scores at least once last year—meaning that a large number of consumers
are taking advantage of access to information about their credit standing that they did not have
several years ago.

176 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
5.3 Balance transfers
Card issuers sometimes offer new or existing cardholders the ability to transfer balances from
other credit card accounts.23 Such “balance transfers” were introduced to the U.S. market in the
early 1990s.24 They now account for the transfer of tens of billions in credit card debt every year.
They also feature prominently in issuer marketing to new and existing customers.

This section of the report describes the balance transfer market in more detail. We first describe
general facts and patterns regarding usage. We then look at prevalence and variance of the
product’s terms and conditions, and how balance transfers are marketed. We conclude with
some analysis of outcomes for consumers who use balance transfers.

5.3.1 What are balance transfers?


Most card issuers offer balance transfers as a feature of their credit card accounts. This feature
allows consumers who have an account with a certain issuer to reduce or eliminate a balance on
a credit account held by a different lender while simultaneously incurring a new, equivalent
balance on their credit card.25

Balance transfers offer two major benefits to consumers. First, they allow consumers to
consolidate their debts. For example, a consumer who owes $2,000, $1,000, and $750 on three
different credit cards may find it easier to manage a single account with a balance of $3,750. The

23In the normal course, a cardholder cannot use a credit card to pay other outstanding credit card balances because
most credit card accounts do not allow the accountholder to make payments against the account’s bill over payment
card networks. In the balance transfer model, the transferring issuer pays the other(s) directly, and that obligation
is then added to the cardholder’s credit card account.

24See David S. Evans & Richard Schmalensee, Paying with Plastic: the Digital Revolution in Buying and Borrowing, at
225-26 (MIT Press, 2nd ed. 2004).

25Historically, balance transfers have primarily facilitated the transfer of balances between credit card accounts.
Depending on the issuer, however, balance transfers can be used for transferring balances from other types of credit
accounts, including non-card lines of credit, personal loans, auto loans, and student loans. Our data do not allow us
to determine the source of balances being transferred. At this point, however, our assessment is that the transfer of
credit card balances is still the predominant use case.

177 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
second and more quantifiable benefit is lower costs. Most issuers offer consumers temporary
promotional interest rates to incentivize balance transfers. As we discuss in more detail below,
that promotional rate is often 0%. Balance transfers also impose some costs. Most come with an
upfront fee. In some cases, as discussed further below, they also can result in consumers
incurring certain interest charges that would not have been incurred absent the balance transfer.

For issuers, balance transfers are in part a marketing tool. They may encourage consumers to
open a new account or intensify their usage of an existing account. Over a longer time horizon,
this can build or reestablish a more regular relationship between an issuer and a consumer,
increasing the possibility that the consumer may begin to use that card more broadly and
frequently. Additionally, consumers who do not pay off their full transferred balances during the
promotional period generally find the remaining amount subject to the card’s non-promotional
balance transfer APR.26

5.3.2 Data and methodology


We rely on two primary sources of data. The first is Y-14 data. These data cover a large share of
the credit card market, but they may not be representative of the market not covered by Y-14
data. Y-14 data also do not allow us to draw any conclusions at the consumer level.27 It is
difficult, therefore, to use these data to assess the effect of balance transfers on consumers’
overall financial position, or see how balance transfers relate to consumers’ other financial
activities.

Y-14 data also cover balance transfer information separately from convenience check
information. Convenience checks allow consumers to draw on their credit limit using an issuer-

26Issuers can subject transferred balances to rates different than purchase balances, including both those balances
not initially subject to promotional rates as well as those for which the promotional rates have expired. Issuers must
disclose such non-promotional balance transfer APRs separately on mandatory account opening tabular disclosures
if they differ from the APRs for purchases and cash advances. See 12 C.F.R. part 1026, Supplement I, Appendix
G(5)(ii). In practice, however, we observe that these rates mirror cards’ purchase APRs. This is not the same for all
such separate balances. Cash advances, for example, are almost always subject to higher rates than purchases or
transferred balances.

27 The CCP allows for consumer-level analysis, but does not allow for insights into balance transfers specifically.

178 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
provided check. In many cases, consumers may pay another credit card bill using such a check,
in effect transferring a balance. Such transactions may be treated similarly to balance transfers
by issuers, even if other convenience check transactions (such as payments to merchants) are
not. As our data do not allow us to distinguish between different kinds of convenience check
transactions with enough granularity to determine which ones effectively function as balance
transfers, we only look at those transactions reported in the Y-14 as balance transfer
transactions, acknowledging that this means we do not consider some number of transactions
that are near-identical to balance transfers from the consumer perspective.28

Our second source is Mintel Comperemedia, which maintains a database of marketing mailings
sent to consumers, including credit card mailings. These mailings allow us to examine terms and
conditions offered to consumers, as well as the broader language and imagery that issuers use
for balance transfer offers.

5.3.3 Use
Balance transfers represent tens of billions of dollars in volume each year, and have been
growing in recent years. As reflected in Figure 8, balance transfer volume in 2016 was 35%
greater than in 2014. This growth is double the rate of growth in purchase volume and
outstandings over the same period.29 Consumers who hold accounts with banks for which we
reviewed Y-14 data transferred nearly $50 billion of balances to those accounts in 2016.

28For the banks for which we have data, convenience check volume is significant, but still makes up less than one-
third of balance transfer volume.

29To the Bureau’s knowledge, balance transfer features are only offered on general purpose credit cards. While
consumers can transfer balances off private label cards, it appears that only general purpose cards presently allow
transfers onto the account.

179 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 8: BALANCE TRANSFER DOLLAR VOLUME, PURCHASE VOLUME, AND YEAR-END
OUTSTANDINGS INDEXED TO 100 IN 2014 (Y-14)

140

130

120

110

100
2014 2015 2016

Balance transfer volume Purchase volume Year-end outstandings

BALANCE TRANSFER INCIDENCE


Balance transfer features, however, are not actually utilized by most accounts. Figure 9 shows
that, even years after origination, less than one-tenth of accounts have ever conducted a balance
transfer. This result is borne out by survey data. Less than one-fifth of current cardholders
report having ever transferred a balance. Only a minority of those cardholders report doing so
recently.30

FIGURE 9: SHARE OF ACCOUNTS THAT HAVE EVER TRANSFERRED A BALANCE AS OF YEAR-END 2016,
BY YEAR OF ORIGINATION (Y-14)

9%

6%

3%

0%
2014 2015 2016

30See Auriemma Consulting Group, Seasonal Impact on Card Usage, Mobile Payments, Acquisition, and
Redemption, Cardbeat U.S. Edition, Q2 2017, at 32 (July 2017).

180 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Figure 10 shows that balance transfers are overwhelmingly used by consumers with higher
credit scores. Accounts owned by consumers with prime or superprime scores represented over
97% of balance transfer volume in each of the last three years. There has been a downward shift
in overall credit score composition of transferred balances in that time period, with growth
among near-prime and some growth in prime at the expense of superprime, but that shift has
been slight.

FIGURE 10: SHARE OF BALANCE TRANSFER DOLLAR VOLUME (Y-14)

2014

2015

2016

0% 20% 40% 60% 80% 100%

Superprime Prime Near-prime Subprime Deep subprime

As reflected in Figure 11, most balance transfer acquisition marketing mail is directed to
consumers with superprime and prime scores. That share is somewhat less than these tiers’
share of transfer volume.

FIGURE 11: SHARE OF BALANCE TRANSFER ACQUISITION MARKETING MAIL VOLUME (MINTEL
COMPEREMEDIA)

2014

2015

2016

0% 20% 40% 60% 80% 100%

Superprime Prime Near-prime Subprime Deep subprime

181 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Balance transfer volume is heavily concentrated. The five issuers in our Y-14 data with the
highest balance transfer volume represented over nine-tenths of all such volume in the Y-14 data
last year—a substantially higher degree of concentration than in purchase volume or balances. It
appears, therefore, that a small number of large issuers play a dominant role in this space, even
more so than in the credit card space generally.

Repeat balance transfer activity is relatively unusual, at least at the account level. Figure 12
shows that of accounts with at least one balance transfer in 2016, over six in seven only had a
transfer in a single cycle that year.31 Even three years after origination, over three-quarters of
accounts that engaged in any balance transfer activity had only a single transfer.

FIGURE 12: NUMBER OF BALANCE TRANSFERS ON ACCOUNTS WITH AT LEAST ONE OBSERVABLE
BALANCE TRANSFER AS OF YEAR-END 2016, BY YEAR OF ORIGINATION (Y-14)

2014

2015

2016

0% 20% 40% 60% 80% 100%

One Two Three or more

Consumers who make multiple transfers to a single account may confront disadvantageous
payment allocation if the promotional periods for those transfers overlap. The CARD Act and its

31 It is possible that in some cases consumers effected multiple transfers within a single cycle. The Y-14 data do not
allow us to disaggregate intra-cycle activity; we therefore elect to consider all balance transfer activity within a cycle
as a single balance transfer incident for the sake of simplicity.

182 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
associated regulations address payment allocation across balances with differing interest rates.32
With limited exceptions, however, they do not restrict how payments are allocated between
balances with identical interest rates, even if the balances, over time, carry different interest rate
implications.33 All other factors being equal, a consumer with multiple overlapping transferred
balances subject to the same promotional rate, but with different promotional rate expiration
dates, would prefer to have payments allocated to the balance that has its promotional rate
period expiring first.

Data available to the Bureau indicate, however, that at least some issuers allocate payments to
the most recently transferred balance. Consumers who understand the implications of this type
of allocation may not be able to counteract it on the account. The CARD Act does not require
issuers to enable consumers to instruct payment of one transferred balance before another.

BALANCE TRANSFER SIZE


The average transferred balance is substantial, exceeding $4,300 in each of the last three years.
The median transfer incident has been $3,000 in each of the last three years. Figure 13 contains
additional distributional information on balance transfer size.

FIGURE 13: DISTRIBUTION OF BALANCE TRANSFERS BY SIZE, 2014-2016 (Y-14)

0% 10% 20% 30% 40% 50% 60% 70% 80% 90% 100%

$0-1,000 $1,000-5,000 $5,000-10,000 >$10,000

3215 U.S.C. § 1666c(b); 12 C.F.R. § 1026.53. Note that, because balance transfers are not subject to deferred interest
charges, the general CARD Act payment allocation rule appears to work unambiguously well when allocating across
balances subject to different interest rates.

33 12 C.F.R. § 1026.53, Comment 53-4.

183 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Consumers tend to use a large portion of their total credit line on a given account when
accepting a balance transfer offer. In fact, all transfers we observe can be broken into three
roughly equivalently-sized tiers. One-third of all transfers were for less than half the size of the
line. Another third used more than half the line, but less than 90% of it. The remaining third
used almost all the line on the account.

Balance transfer size is also strongly correlated with credit score, as reflected in Figure 14. This
is presumably a result of consumers with higher scores having higher average lines.34
Superprime transfers are, on average, over quadruple the size of deep subprime transfers.
Figure 14 also makes clear that there has been little change in average size within any tier over
the last three years.

FIGURE 14: AVERAGE BALANCE TRANSFER SIZE (Y-14)

$5,000

$4,000

$3,000

$2,000

$1,000

$0
Superprime Prime Near-prime Subprime Deep subprime
2014 2015 2016

OTHER METRICS OF USE


A substantial share of balance transfers in a given year occur proximately to the origination of
the account receiving the transfer. As reflected in Figure 15, that share has increased over the
past two years. Our market monitoring suggests these transfers are especially likely to be

34 Section 4.1.5 contains data on the distribution of credit lines by credit score.

184 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
associated with promotions offering discounted interest rates for an extended period. We
discuss the prevalence of such promotions in marketing materials, and the terms of such
promotions, in the next section.

FIGURE 15: SHARE OF BALANCE TRANSFERS TAKEN WITHIN 60 DAYS OF ACCOUNT OPENING (Y-14)

30%

20%

10%

0%
2014 2015 2016

Balance transfers on older accounts are associated with a decline in purchase activity on the
account. Limiting our analysis to accounts originated at least six months prior to the balance
transfer, we observe a significant and sustained drop-off in monthly average purchase volume in
the period following transfers. This result, which is shown in Figures 16 and 17 below, appears to
be driven in large part by accounts eschewing purchase activity completely after transferring a
balance. Issuers have confirmed this result to the Bureau. There are a number of reasons why
this might occur, including the loss of available line resulting from a balance transfer. For
accounts that were transacting prior to the transfer, however, the drop in purchase activity may
also be related to the transfer’s potential elimination of the account’s grace period, which
increases interest costs associated with new purchase activity. We discuss this in more detail
below.

185 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 16: AVERAGE PURCHASE VOLUME IN THE CYCLES SURROUNDING A BALANCE TRANSFER (Y-14)

$300

$200

$100

$0
BT-6 BT-5 BT-4 BT-3 BT-2 BT-1 BT BT+1 BT+2 BT+3 BT+4 BT+5 BT+6

FIGURE 17: SHARE OF ACCOUNTS MAKING ANY PURCHASES IN THE CYCLES SURROUNDING A
BALANCE TRANSFER (Y-14)

40%

30%

20%

10%

0%
BT-6 BT-5 BT-4 BT-3 BT-2 BT-1 BT BT+1 BT+2 BT+3 BT+4 BT+5 BT+6

5.3.4 Cost terms


From the consumer perspective, the most important terms that apply to balance transfers are
likely those that determine its cost. These include those that most directly determine cost—the
applicable fees and interest rate or rates—as well as those that indirectly determine cost—
primarily the length of the promotion and the effect of the transfer on the card’s “grace period.”
We discuss these below.

FEES
Many issuers assess consumers a fee for transferring a balance. This fee is generally expressed as
a percent of the amount transferred. For example, an issuer may set their fee at 3% of any

186 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
amount transferred.35 Over the 2014 to 2016 period, about 86% of all transfers in the Y-14 data
were associated with a fee.

Mintel data allow us to examine the prevalence of different fee amounts in issuer acquisition
mailings.36 We observe a substantial shift away from fee-free transfers, as well as towards higher
price points, in the years 2005 through 2010, followed by a partial reversal of that shift over the
subsequent five years. In 2016, there was a downtick in fee-free offers relative to offers with
higher fees. These marketing data results are shown in Figure 18.

FIGURE 18: PREVALENCE OF BALANCE TRANSFER FEE LEVELS IN CREDIT CARD ACQUISITION
MARKETING MAIL (MINTEL COMPEREMEDIA)

100%

75%

50%

25%

0%
2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
0% 3% 4% 5% Other

Directly extrapolating from marketing data to consumer experience from the Y-14 data,
however, is not recommended. Expressed as a share of the total amount transferred, aggregate
balance transfer fees have declined from about 3.3% in 2014 to about 2.9% in 2016. Put another

35There is usually a fixed floor on balance transfer fee amounts. For example, an issuer may set the fee at 3% but no
less than $10.

36
“Other” fee levels include both those in the 0% to 5% range which were not precisely 0%, 3%, 4%, or 5%, and those
which were greater than 5%. Such fees have rarely represented even 1% of all offers.

187 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
way, the upfront fee cost of transferring a balance dropped over the period by more than 11%,
representing a substantial reduction in costs to consumers. Had consumers in our data paid
2014-level fees on their 2016 transfers, their aggregate costs would have been more than $160
million higher.

Given that the share of balance transfers associated with fees has not declined over that same
period, the decline in total fees must be driven by a decline in the average fee assessed. This
appears to have happened concurrently with an increase in the average fee marketed. This
suggests that balance transfer offers with lower fees may be seeing their uptake rates growing
relative to higher-fee offerings.

INTEREST RATES
The other major determinant of balance transfer cost is the interest rate. The “go-to” balance
transfer interest rate offered to consumers is generally the same as the card’s retail APR.
Critically, however, most balance transfers occur as promotions, meaning most consumers pay
substantially less over the promotional period than the go-to rate. As shown below in Figure 19,
in recent years, balance transfer offers on new accounts have almost all been at 0% promotional
rates.37 This has also been the case for promotions offered on purchases, too, which we show for
comparative purposes in Figure 19.

Y-14 data do not allow us to conclusively identify the share of balance transfer volume receiving
a promotional rate. But the indirect evidence from mailings strongly suggests that the share is
very large. Overall, it appears to be the case that most consumers who transfer balances do so
using promotions that offer very low interest rates, often 0%.

37The data in this and the subsequent figure only include acquisition mailings—solicitations sent to potential new
customers. Issuers also market balance transfers to existing customers. Evidence available to the Bureau suggests
that consumers are more frequently offered higher rates and shorter promotion terms in such “portfolio
solicitations.”

188 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 19: SHARE OF PROMOTIONAL ACQUISITION MAILINGS THAT OFFER A 0% PROMOTIONAL APR
(MINTEL COMPEREMEDIA)

100%

75%

50%

25%

0%
2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
0% balance transfer APR 0% retail APR

PROMOTION LENGTH
Since a major benefit of balance transfer promotions is receiving rate relief, promotion length is
a major factor in determining the benefits and costs of transferring a balance. Promotions in
balance transfer offers have lengthened markedly over the period we can observe. Offers with a
promotion length of 15 months or longer, which represented as little as one-fifth of all
acquisition offers in 2009, have represented over half of all such offers each year since 2011. Full
data are in Figure 20 below. Although we do not have direct data on the distribution of
promotion length for balance transfer offers that are accepted, average actual promotion length
may increase with average offered length.38

38It is possible that consumers who are offered longer promotions have lower uptake rates, in which case average
actual promotion length could remain relatively unchanged even as average offered promotion length increases. It
is also possible, however, that consumers prefer longer promotions, and therefore seek out the longest promotions
for which they are eligible, which could have the opposite effect. The extent of both of these effects is unknown to
the Bureau.

189 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 20: SHARE OF BALANCE TRANSFER ACQUISITION MAILINGS BY PROMOTION LENGTH (MINTEL
COMPEREMEDIA)

100%

75%

50%

25%

0%
2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 2014 2015 2016 2017
Less than 12 months 12-15 months 15-18 months 18 months or longer

The likely increase in transfer promotion length and the decline in offered promotional interest
rates coincide with the reduction in broader market interest rates. We discussed in Section 3.2.2
of this report how recent and projected future increases in those rates will likely lead to higher
consumer costs. In this segment of the market, the evidence suggests that increasing interest
rates will also lead to higher consumer costs. Those costs may not come directly through higher
promotional interest rates, however, but indirectly through shorter promotional periods. No-
interest balance transfer offers may be sufficiently compelling to relevant consumers that issuers
may only be able to adjust other terms to control credit and price risk. The downticks in
promotion length in 2015 and 2016—along with the slight uptick in the upfront balance transfer
fees marketed to consumers—may indicate that this is occurring already.39

39There are echoes here of the claim made by one commenter that issuers now put increasing weight on line
management as a risk management tool. See ABA Comment Letter, at 3-6. We discuss this claim in more detail in
Section 4.2.5.

190 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
GRACE PERIOD
For some cardholders, the loss of a grace period can be a potentially significant source of costs
associated with balance transfers. To save money by transferring balances from one credit card
account to another, the consumer needs to revolve at least some of the transferred balance. We
noted in Section 3 above that the average retail APR on prime accounts in 2016 was around 19%.
A consumer who, pursuant to a 12-month, 0%-interest rate promotion, transferred a $4,500
balance from an account charging that 19% APR might incur an upfront fee of $135. But such a
consumer would save as much as $800 over that period by leaving that amount on the transfer-
receiving account and making only minimum payments on that account. If the consumer paid
off the transferred balance right away, the upfront fee would be incurred for no interest
savings—a net cost.

If a consumer had previously been transacting on the account receiving the transferred balance
and paying the balance in full each month, the consumer would need to revolve some portion of
the transferred balance to be able to realize any interest savings. In other words, even as the
consumer’s monthly payments may continue to cover the amount of new purchases made in a
given cycle, the account would move into revolving status.

Under the practices that prevailed in the market until recently and that many issuers continue to
follow, that change in status from transactor to revolver meant that such consumers would lose
their grace period, thereby incurring interest charges on any new purchases from the date of
purchase.40 Significantly, that would happen even if those consumers’ monthly payments
equaled the full amount of purchases and were applied to those purchases so that the consumers
paid in full for any new purchases each month. The revolving transferred balance would end
those consumers’ grace periods, no matter that new purchases were covered by full and timely
payment.

40As discussed previously in this report, a consumer who pays the full balance on an account each cycle, a behavior
termed “transacting,” generally does not pay interest charges. This is because the consumer is protected by the
account’s “grace period,” which can be lost by a consumer who does not pay their balance in full in any given billing
cycle, and can also be restored by a consumer, generally by paying the account balance in full in two consecutive
billing cycles.

191 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
The Bureau promulgated compliance guidance in 2014 that clarified the importance of
prominent disclosure for this particular feature of balance transfers.41 There are several reasons
why disclosure might be important in this context. By paying credit card balances in full when
due, a consumer generally avoids all interest charges. If such a consumer viewed a 0% balance
transfer as not being due until the end of the promotional period, however, the relationship
between full payment when due and the avoidance of interest charges would unexpectedly break
down after taking the balance transfer. It is worth noting that other promotions, such as
deferred interest promotions, generally do not have this type of effect on the account’s grace
period.42

Assessing the aggregate costs associated with this grace period effect is not straightforward.
Bureau research on the period prior to the issuance of the 2014 guidance showed that a
relatively small share of accounts were transactors when they made balance transfers. Among
issuers with substantial balance transfer volume, that share ranged from as few as one in 40
transferring accounts to as many as one in ten.43 Given the volume of balance transfers,
however, even that minority represents a significant number of consumers that stood to be
affected by the loss of their grace period—if they continued to make new purchases.

41 Consumer Fin. Prot. Bureau, Marketing of Credit Card Promotional APR Offers, CFPB Bulletin 2014-02, (Sept. 3,
2014), available at http://files.consumerfinance.gov/f/201409_cfpb_bulletin_marketing-credit-card-promotional-
apr-offers.pdf. We discuss issuer practices with respect to the disclosure of grace period effects in balance transfer
offers—including changes following the issuance of the bulletin—in more detail below.

42 Consumers who transfer balances generally have an outlet for avoiding interest charges on new purchases—the
card from which they just transferred their balance, at least assuming that they cleared that account’s balance
entirely. One research team has deemed continuing to make new purchases on an account revolving a transferred
balance a consumer “mistake.” See Sumit Agarwal & Bhashkar Mazumder, Cognitive Abilities and Household
Financial Decision Making, at 193-207, Am. Econ. J., Applied Econ. 5(1) (2013), available at
http://www.ushakrisna.com/cogability_proof.pdf.

43 For these purposes, we excluded the substantial share of accounts that accepted their transfer proximate to their
origination for many reasons, primary among them that many such accounts may have been subject to a concurrent
promotional interest rate on purchases, rendering this issue moot. We also limited our sample to accounts with
higher credit scores, which as we noted above represent the overwhelming share of transfer activity.

192 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
The majority of such accounts did continue making new purchases subsequent to the transfer,
with the share of accounts doing so varying across issuers from three-fifths to five-sixths. Those
accounts that continued making purchases registered significant purchase volumes—generally
several thousand dollars over the six months following the transfer. At prevailing interest rates,
these accounts may have been subject to $100 or more in interest charges. While generally not
enough to offset the full benefit of a promotional balance transfer, that cumulative interest
charge is comparable to the average balance transfer fee prevalent at the time—meaning the cost
to those consumers of transferring balances was effectively doubled by continuing to use their
card to make purchases, even if their monthly payments to the account exceeded their monthly
purchase volume.

Issuer disclosures on balance transfers show that some issuers have revised their applicable
grace period policies since the issuance of our guidance. These disclosures show that some
issuers now allow consumers to retain their grace period while revolving a transferred balance
so long as they pay the balance generated by new purchases in full each month. Although issuers
lose some interest revenue from this type of change, they may also realize some benefits. The
decreased cost of new purchases may cause increased use of the card for such purchases. In
addition, the issuer may avoid any customer service costs associated with the prevailing grace
period policy on balance transfers.

MARKETING AND DISCLOSURES


Balance transfers are generally marketed to consumers as a means of achieving a specific
personal and financial goal. The advertised uses for balance transfers in mailers we have
reviewed include consolidating debt, reducing debt, paying utility bills, meeting emergency
expenses, home improvement, car repair, educational expenses, medical expenses, shopping,
and travel. Shopping and travel goals have waned as selling points since 2009.44

44Some of these offers advertise both both balance transfers and promotions on convenience checks; as we noted
above, the latter are treated separately in Y-14 data, even though in many cases the terms and consumer experience
can be similar.

193 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
We have also observed substantial changes since 2014. We reviewed two samples of disclosures
mailed to consumers, one from the first half of 2014 (which was prior to the promulgation of our
applicable guidance) and one from the second half of 2016 (which was two full years after that
guidance). We found that in 2014, most issuers included language referring to interest on new
purchases in the “question and answer” (“Q&A”) section of the mailing, but the majority did not
include it on the first page. By contrast, almost all issuers included such language on the first
page of their mailings in 2016 as well as in the Q&A section. While hard to quantify, we also
observed that the prominence of first-page language appeared to increase from 2014 to 2016,
typically through changed placement or bolding.

We also found that, in the Q&A section, more issuers included the term “grace period” in 2016
compared to 2014. Perhaps more importantly, they also included more concrete examples that
explained the potential grace period consequence of taking a transfer. For example, one 2016
mailing we examined from a large issuer used the example of a consumer who carries a $2,000
balance and subsequently makes a $500 purchase, stating that the consumer would incur
interest charges on the $500 purchase balance. These and other similar recent mailings appear
to put substantially more weight on ensuring consumer understanding of the way grace periods
are affected by balance transfers.

5.3.5 Payment behavior


Consumers can realize significant interest charge savings from balance transfers with
promotional interest rates even if they do not pay the transferred amounts in full before the
promotional period expires. But their longer-term savings or debt reduction may in many cases
be driven by the share of the balance they are able to pay before the promotional period expires.

Because we do not have data on balance transfer promotion length, we cannot report on how
many balance transfers—or how many dollars transferred—are paid before promotion

194 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
expiration.45 But we can examine total account balances to see the pace at which accounts with a
balance transfer are paying transferred balances over time. We find that overall between roughly
one-fifth and two-fifths of accounts paid off their balance transfer balances after one year, and
between half and three-quarters did so after two years. The data also indicate that the rate at
which accounts reach full payment slows after 18 months, and that a significant share of
accounts still have residual transferred balances after two years, even though we observe very
few balance transfer offers with promotional periods this long.46

5.4 How complicated are credit cards?


This section examines how credit card products have become more or less complicated over
time. We begin by laying out a conceptual framework for our analysis and the data and
methodology we rely on. We then share our main findings. Our analysis does not evaluate
complication, but simply seeks to track this metric over time.

5.4.1 Background
Defining what it means for a financial product to be complicated is challenging—even when
limiting analysis to terms that directly determine a product’s cost. For example, a measure that
compares (whether across products or across time) the number of parameters that determine
cost would ignore the fact that familiar parameters—even if more numerous—may be more
easily understood than a smaller number of unfamiliar ones. In addition, any particular single
measure that analyzes how complicated a product is will be vulnerable to confounding factors
specific to that measure. For example, tracking the number of fees that accounts may be
assessed may not adequately account for consumer behavior. If, over an observation period,
more consumers choose to use their credit cards abroad, the relevance of a foreign transaction

45Another limitation is that although Y-14 data allow us to quantify the number and dollar volume of balance
transfers in the cycle they were initiated, these data often do not allow us to distinguish reliably between transferred
balances and other balances in subsequent billing cycles.

46 We lay out our method for these calculations in the Appendix.

195 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
fee to their calculations of the all-in cost of using various cards may increase. This means that
the product may become more complicated in practical terms even if the underlying foreign
transaction fee practices are static over the same period.

Using mandatory disclosures to assess how complicated credit card products are offers some
potential benefits, but raises certain other limitations. Certain information must be included or
excluded, and formats often standardized, thereby facilitating comparison between different
products over time. Yet, because such disclosures are the product of regulation, their content
can change both with regulation and with changes in the underlying terms of the product—and
disaggregating the two forms of change may not be straightforward.47

EXISTING RESEARCH
In our 2013 Report, we compared the length and readability of a small sample of credit card
agreements that predated the CARD Act to a comparable sample from the post-Act period. Our
2015 Report expanded this analysis, relying on a larger sample, distinguishing between different
classes of issuer, and examining both ranges of findings as well as averages. The public credit
card agreement database created as a result of the CARD Act has empowered other market
observers to survey the length and readability of cardholder agreements as well.48

However, these analyses bear only to a limited extent on whether—or how—credit card products
are more or less complicated. A complicated product, at least in theory, may be explained in
short, straightforward terms. Conversely, a simple product may sometimes be described in
longer terms that are hard to understand. This is not to say that cardholder agreement length

47This is true, for example, with respect to regulatory changes associated with the CARD Act. Though the CARD Act
may not have been intended to make products simpler, many of its provisions directly limit fee amounts or the
circumstances in which fees can be charged, or the issuer’s ability to increase interest rates in certain circumstances.
See, e.g., 15 U.S.C. §§ 1637(i)(1), 1637(k), 1637(n), 1665d, 1666i-1(b)(4), 1666i-2(a). These kinds of changes are
prima facie likely to have affected whether credit card products are more or less complicated. But the CARD Act and
its attendant regulations also contained measures intended to improve market transparency. This includes some
changes that altered key disclosures, including, as we note below, those in issuer solicitations.

48See, e.g., creditcards.com Staff, Study: Credit Card Agreements Unreadable to Most Americans, creditcards.com,
(Sept. 16, 2016), available at https://www.creditcards.com/credit-card-news/unreadable-card-agreements-
study.php.

196 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
and readability are not important. Whether or not consumers have information to understand
their cards and use them optimally are important questions in their own right. But they are
conceptually distinct from the issue of whether underlying products are complicated.

There are few prior studies on point. A 2010 study conducted by the Center for Responsible
Lending measured how complicated products are by tabulating price points in mandatory
disclosures.49 That paper found a steady increase in the number of price points over the decade
leading up to the CARD Act’s passage and implementation, followed by a quick decline.50 The
study’s observation period, however, only allowed for limited visibility into the post-CARD Act
implementation era.

5.4.2 Methodology and data


Our methodology draws on the 2010 Center for Responsible Lending study. Like that study, it
attempts to quantify certain properties of mandatory credit card disclosures, then tracks
changes in those quantified disclosure metrics over time.

We construct a sample of credit card solicitation mailings from a dataset maintained by Mintel
Comperemedia. We select the largest solicitation mailing sent by each of the 25 largest issuers

49Joshua M. Frank, Numbers Game: The True Cost of Credit Card Mail Offers, Center for Responsible Lending, (Oct.
2010), available at http://www.responsiblelending.org/credit-cards/research-analysis/numbers-game-final-v2.pdf.

50This core finding was corroborated by findings published by the Federal Reserve Bank of Philadelphia. See Mark J.
Furletti, Credit Card Pricing Developments and Their Disclosure, (Federal Reserve Bank of Philadelphia, Payment
Cards Center Discussion Paper No. 03-02, 2003), available at https://papers.ssrn.com/sol3/papers.cfm?‌
abstract_id=572585; Mark J. Furletti & Christopher J. Ody, Another Look Credit Card Pricing and its Disclosure:
Is the Semi-Annual Pricing Data Reported by Credit Card Issuers to the Fed Helpful to Consumers or
Researchers?, (Federal Reserve Bank of Philadelphia, Payment Cards Center Discussion Paper No. 06-08, 2006),
available at https://papers.ssrn.com/sol3/papers.cfm?abstract_id=920621.

197 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
during November of 2006, 2009, 2010, 2012, 2014, and 2016.51 Five of the largest 25 issuers
sent no mailings during any of those periods, leaving us with a sample of 20 issuers.

We then applied an approach similar to the Center for Responsible Lending analysis described
above. We examined each solicitation’s “Schumer box” to count each numerical figure in that
disclosure.52 For simplicity, we term such figures “price points,” although some figures factor
into an account’s pricing less directly than others. We also categorized price points by subject
area to better track likely drivers of observed change. Our findings generally take average
measures across disclosures without making weight adjustments for the size of the issuer or the
scale of the solicitation. This has the advantage of simplicity, but may mean we are reporting
findings that would not square with the average consumer experience. To help mitigate this, we
also report on variance across issuers in our sample.

Our methodology relies on trying to observe changes in how complicated products are by
measuring changes in mandatory disclosures. This offers advantages but has some limitations as
well. We note two such limitations in particular. First, disclosure rules prescribe the inclusion
and exclusion of certain terms. The Schumer box is no exception. As a result, both as a point-in-
time snapshot as well as an across-time comparison, disclosures can only be an imperfect
barometer of how complicated the underlying products are. This cuts in both directions—limits
on a disclosure’s flexibility may either inflate or deflate measures.53

51 We use Nilson data from 2015 as the base year to identify these 25 issuers. If issuers sent no solicitations in a
relevant period, we excluded them from that period’s sample, but did not make any substitutions and continued to
include that issuer in other periods’ samples.

52 We also count some figures falling directly below the Schumer box if they are on the same disclosure page and they
relate to account pricing. This helps ensure consistency in our count, as different issuers employ different practices
as to whether certain information is included in the Schumer box or directly below it. We count numerical figures
whether or not they are expressed in numerals or words.

53 An example relating to penalty fee disclosure may help clarify this. Under current regulation, if an issuer charges
different amounts for a certain fee depending on the circumstances of that fee, only the maximum amount of that
fee needs to be disclosed in the Schumer box. This means that two issuers may disclose the fee identically on the
Schumer box (“Up to $35”) even if one underlying fee structure is more or less complicated than the other.

198 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Second, disclosure rules change over time. Again, the Schumer box is no exception. Therefore,
comparisons of how complicated products are before and after the CARD Act rules altered the
box must carefully track which changes were attributable to regulatory changes modifying
Schumer box requirements, and which were not.

5.4.3 Findings
We lay out findings across four dimensions. First, we look at the overall number and
distribution of Schumer box price points over the past decade. Second and third, we examine in
more detail APR- and interest rate-related price points, and then fee-related price points.
Fourth, we look at how variability across issuers changed over time.

OVERALL
We begin our analysis by tracking broad trends in the total number of Schumer box price points.
We find that the average number of price points disclosed fell substantially following the CARD
Act, and has remained relatively stable since then. This fall was generally across-the-board, with
the number of APR- and interest rate-related price points and fee-related price points disclosed
in 2016 well below 2006 and 2009 levels, and with a smaller drop among all other price
points.54 These results are shown in Figure 21. Further analysis of specific changes is then
required to determine what portion of this change is likely attributable to an underlying change
in product terms.

54We also note that, for the periods where our sample overlaps with the Center for Responsible Lending’s sample, our
findings largely comport with theirs.

199 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 21: AVERAGE SOLICITATION PRICE POINTS (MINTEL COMPEREMEDIA)

30

20

10

0
2006 2009 2010 2012 2014 2016

APR and interest rates Fees Other price points

APR AND INTEREST RATE PRICE POINTS


The change in APR- and interest rate-related price points over our observation period, which is
shown in Figure 22, is likely attributable primarily to regulatory changes in the disclosures. This
is because the bulk of the decline is driven by the reduction in the number of variable rate-
related price points. Regulatory changes issued prior to the CARD Act that became effective in
2010 prohibited certain terms relating to variable rates from being included in the Schumer
box.55 However, we do observe some decline in the number of price points relating to purchase
APRs and other APRs. These have no obvious cause in changes in disclosure rules. It is plausible
that the CARD Act’s restrictions on repricing practices may have led some issuers to opt for
simpler pricing practices, and that this decline may indicate a real tendency towards
simplification in the market, albeit a slight one.

55 See 74 Fed. Reg. 5244 (Jan. 29, 2009).

200 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 22: AVERAGE APR- AND INTEREST RATE-RELATED PRICE POINTS (MINTEL COMPEREMEDIA)

20

10

0
2006 2009 2010 2012 2014 2016

Purchase APR Other APRs Variable rates

FEE PRICE POINTS


Change in fee price points are shown in Figure 23. The overall drop here was driven entirely by a
net reduction in price points relating to penalty fees. The average number of penalty fee price
points in Schumer boxes fell by over half from the pre- to post-CARD Act implementation
period.

FIGURE 23: AVERAGE PENALTY- AND NON-PENALTY FEE-RELATED PRICE POINTS (MINTEL
COMPEREMEDIA)

15

10

0
2006 2009 2010 2012 2014 2016

Penalty fees Non-penalty fees

The penalty fee story, which is laid out in more detail in Figure 24, is one that encompasses both
real changes in underlying product terms as well as changes in disclosure rules. The

201 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
disappearance of overlimit fees from solicitation disclosures is driven by the all-but-
disappearance of such fees from the market.56

Observed changes in late fee and returned payment fee price points, however, are likely driven
by disclosure rules. New rules that became effective in 2010 allowed issuers to simplify the way
they disclose late fees in the Schumer box, a change of which many issuers took advantage.
Returned payment fees were newly required to be included in the Schumer box by those same
rules, thus accounting for their increased prevalence in more recent observation periods. This
highlights the limits of our methodology. Without digging deeper into accounts’ full terms and
conditions, we cannot determine whether late fee structures are indeed simpler in the post-
CARD Act era, or whether returned payment fees have in fact become more prevalent.

FIGURE 24: AVERAGE PENALTY FEE-RELATED PRICE POINTS (MINTEL COMPEREMEDIA)

7
6
5
4
3
2
1
0
2006 2009 2010 2012 2014 2016

Late fees Overlimit fees Returned payment fees

By contrast, for most non-penalty fees, including annual fees and fees for utilizing account
features such as balance transfers and cash advances, we notice little change over the period.
There is one exception—foreign transaction fees. Data on these fees are shown in Figure 25.
Here, there appear to be changes in how complicated credit card products are in addition to
changes in how complicated disclosures are.

56 We discuss the disappearance of overlimit fees in greater detail in Section 3.3.5.

202 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 25: FOREIGN TRANSACTION FEE-RELATED PRICE POINTS (MINTEL COMPEREMEDIA)

1.0

0.5

0
2006 2009 2010 2012 2014 2016

The increase in foreign transaction fee price points we observe from 2009 to 2010 was likely
driven by a phenomenon similar to returned payment fees above. These fees were similarly
designated as mandatory inclusions in the Schumer box by a regulatory change that became
effective in 2010. But disclosure rules do not appear sufficient to explain—at least not directly—
the subsequent decline in the inclusion of foreign transaction fees in the Schumer box. This
decline seems driven primarily by fewer issuers assessing such fees. One recent study, which
examines the full terms and conditions of a larger number of products, confirms that foreign
transaction fee prevalence in the market is declining.57 This appears to represent a real change
in how complicated credit card products are. The CARD Act did not have any provisions that
directly addressed foreign transaction fee practices, so the change may be driven primarily by
competition. It is possible, of course, that competition may have been driven in part by
increased disclosure of such fees.

VARIABILITY ACROSS ISSUERS


As noted above, looking strictly at average price point counts can mask significant variation
across issuers. We therefore examine the variation of total price points across the issuers in each
observation period’s sample. The bars in Figure 26 show the median number of price points, as

57See Sienna Kossman & Taylor Tompkins, 2017 Credit Card Fee Survey: Consumers Catch a Break, creditcards.com
(Aug. 9, 2017), available at https://www.creditcards.com/credit-card-news/2017-card-fee-survey.php.

203 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
well as the 25th and 75th percentiles. The “whiskers” show the highest and lowest values we
observe for price points in each period’s solicitation disclosures.58

FIGURE 26: ISSUER PRICE POINT VARIANCE (MINTEL COMPEREMEDIA)

60

50

40

30

20

10

0
2006 2009 2010 2012 2014 2016

The overarching story here is one of compression across issuers. Over the past decade, the
median number of price points has fallen. This is also true for the 25th percentile. The minimum
shows no definitive trend. However, the higher end of the distribution has collapsed—the
average gap between the median and the 75th percentile dropped from around 13 in the pre-
CARD Act observation periods to just over five in post-Act periods. A similar comparison
between the median and the maximum records a parallel fall from nearly 26 to just below 14.

5.4.4 Going forward


The evidence accumulated above offers support for a hypothesis of slight but still real declines in
how complicated credit card products are, as well as some concurrent shifts in disclosure
practices. The limitations of our methodology, however, prevent us from drawing any
conclusions stronger than those. This leaves a challenge for future research.

58More specifically, the green bars represent the range between the 25th percentile and the median; blue bars
represent the range between the median and the 75th percentile; and the whiskers represent maximum and
minimum values.

204 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
6. Products marketed to “non-
prime borrowers”
The CARD Act directs the Bureau to report on the “cost and availability of credit, particularly
with respect to non-prime borrowers.”1 Throughout this report and its previous iterations, we
have attempted to highlight the experience of these consumers. For example, in our 2015
Report, we reported metrics about a class of products offered to consumers with lower credit
scores by “subprime specialist” providers.

In this chapter, we expand that focus. First, we describe the population of consumers who lack
prime credit scores and identify four classes of credit card products marketed to such
consumers. We have a primary focus here on “secured cards,” a product class that we have not
yet covered in depth in prior reports, and one that is garnering more attention from a variety of
stakeholders. We then look at data that show a range of outcomes for consumers who originated
a product in one of these four classes in late 2014.

6.1 Consumers without prime credit scores


When determining whether to extend credit to a consumer, most creditors rely at least to some
extent on information provided to them by a credit reporting agency. Credit reporting agencies
maintain large databases of information relating to consumers’ histories with credit products
and with any debts in collection. These companies may also provide credit scores on consumers
in their databases. Scores now range from a minimum score of 300 to a maximum of 850.

1 15 U.S.C. § 1616(a)(4)(A).

205 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Following common industry practice, the Bureau has historically relied on a threshold of 660 to
distinguish “prime” from “subprime” scores.2

FIGURE 1: U.S. ADULTS BY CREDIT SCORE TIER OR CREDIT RECORD STATUS, YEAR-END 2010 (CCP,
CENSUS)

0% 25% 50% 75% 100%


Superprime Prime Near-prime Subprime

Deep subprime Insufficient unscored Stale unscored Credit invisible

Consumers who lack prime scores can be sorted into one of two groups: first, those with a credit
score less than 660; and second, those without a score. The second group can be further
subdivided into consumers with a credit record that is too thin or too stale to yield a score and
those without any such record at all. The Bureau refers to consumers with no record at all as
“credit invisibles.” The Bureau has found that, in 2010, approximately 26 million consumers
were credit invisible, and a further 19 million consumers had a record but no score using a
commonly-used scoring model.3

2 In this report, we generally use the terms “prime” and “subprime” to refer to specific credit score tiers. To avoid
confusion with the industry-standard use of these terms, we instead generally use the terms “higher score” and
“lower score” to refer to scores above and below 660, respectively. For the purposes of titling and introducing this
section, however, we revert to using “prime” to refer to all scores above 660, not just the 660-719 range, in order to
better align with industry-standard terminology. The CARD Act’s mandate, it should be noted, is to study the cost
and availability of card credit, particularly with respect to “non-prime borrowers.”

3 Kenneth P. Brevoort, Philipp Grimm & Michelle Kambara, Office of Research, Consumer Fin. Prot. Bureau, Data
Point: Credit Invisibles, at 6 (May 2015), available at http://files.consumerfinance.gov/f/201505_cfpb_data-point-
credit-invisibles.pdf. Preliminary analysis we conducted using 2013 data does not indicate any major shifts, in
either direction, of the number or share of consumers who are credit invisible since 2010.

206 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Consumers who lack prime credit scores face challenges in consumer credit markets. These
consumers may have equivalent, or in some cases even greater, demand for transactional credit
than consumers with prime credit scores, but their lack of a prime score may reduce or eliminate
their chances of approval for many widely-marketed credit card products. Given the higher late
payment and default rates associated with consumers who lack a prime credit score, products
issued to these consumers generally feature higher all-in costs than products issued to
consumers with higher scores.4

Consumers who lack a prime credit score and who seek a credit card may have several options.
Four product classes in particular constitute a large share of all products originated to this
group. The first is unsecured general purpose accounts offered by mass market issuers. The
second is accounts offered by subprime specialists. These are generally unsecured as well. The
third is private label credit cards. The fourth is secured cards offered by mass market issuers.
We examine each in turn. Not all these products, it should be noted, may be equally available to
consumers without prime scores.

6.2 Unsecured general purpose cards


offered by mass market issuers
Most mass market issuers originate the majority of their credit card accounts to consumers with
prime credit scores. This is especially true for general purpose cards, as we show in Section 4.1.2
above. Even so, almost all mass market issuers originate at least some general purpose accounts
to consumers without prime scores. For some mass market issuers, in fact, this volume is quite
substantial. As a result, unsecured general purpose cards offered by mass market issuers
comprise a substantial share of credit cards originated to consumers without prime credit
scores.

4 As noted in Section 1.3.2, issuers use credit scores to predict a consumer’s relative likelihood of repaying a debt
when compared to other consumers. For a comparison of the total cost of credit for consumers in each credit score
tier, see Section 3.1.1.

207 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Offerings from mass market issuers to consumers lacking prime credit scores generally take two
forms. Some consumers lacking prime scores are offered products substantially similar in their
terms and structure to those offered to consumers with prime scores, albeit with a higher price
(such as a higher interest rate), a lower credit limit, or both.5 Some mass market issuers,
however, design separate products specifically for consumers with lower scores. Those products
are also designed to mitigate the risk of offering credit to such consumers. Those products may
feature key terms similar to those that distinguish subprime specialist products, which we
describe in more detail below. Our data do not allow us to distinguish between the two types of
mass market general purpose offerings.

6.3 Products offered by subprime


specialists
Subprime specialists—a term which encompasses card-issuing banks as well as non-bank
program managers that may play a role in designing and servicing credit card products in this
segment of the market—tend to market their products predominantly to consumers who lack
prime credit scores. Their products are therefore designed specifically to ensure their portfolio
remains commercially viable even when comprised largely of accounts held by consumers with
lower credit scores, which tend to have a correspondingly higher default rate than accounts held
by consumers with higher credit scores. Subprime specialist products generally have high
interest rates as well as high fees when compared to mass market products.6 These fees include
annual or maintenance fees nearer the maximum limit set by the CARD Act.7 Subprime

5 See Sections 3.2.1 & 4.1.5.

6 See 2015 Report, at 79.

7 See 15 U.S.C. § 1637(n); 12 C.F.R. § 1026.52(a). Section 1026.52(a) limits the total amount of fees required to be paid
by the consumer on an account during the first year after account origination to 25% of the initial credit line, with
exceptions for certain penalty fees and optional fees. Section 6.6.2 below contains a comparison of fee composition
across products.

208 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
specialists may also charge fees for services and account activities for which mass market issuers
tend not to charge, such as granting a credit line increase.

Subprime specialists employ a marketing model that centers on high volumes of pre-approved
and targeted mail offers. To acquire new accounts, subprime specialists rely heavily on
marketing to consumers whose credit profiles meet their underwriting standards. Data from
Mintel Comperemedia and The Nilson Report suggest that these providers send mail to
consumers with non-prime scores in volumes that well outstrip some mass market issuers with
much larger credit card portfolios. Subprime specialists send a relatively high percentage of
“pre-screened” offers to consumers they have selected based on credit bureau data and their
internal models. Our market monitoring suggests that some subprime specialists may refuse
most applications that do not result from pre-screened offers.

Subprime specialist cards have higher approval rates for consumers with lower credit scores
than mass market issuer unsecured and secured cards.8 Figure 2 provides a snapshot of
approval rates for subprime specialists in October, November, and December 2014, which is the
time period that forms the basis for the broader analysis in the second half of this section. The
subprime specialist approval rates for consumers with near-prime, subprime, and deep
subprime scores are significantly higher than the corresponding approval rates for mass market
credit card applications submitted by consumers from those credit score tiers, as shown in
Section 4, and for parallel secured mass market issuer credit card applications, as shown in
Section 6.5.3 below. One notable exception is the low approval rate for consumers with no credit
score applying for cards from subprime specialists. This population made up roughly 19% of
total applications for these products but only 3% of total approvals.

8 In the fourth quarter of 2014, subprime specialist card applications were approved at a rate of 70%, as shown in
Figure 2. That compares to roughly 50% for mass market issuer unsecured card applications in 2014. See Section
4.1.2, Figure 7.

209 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 2: APPROVAL RATE FOR SUBPRIME SPECIALIST CARD APPLICATIONS, 2014Q4 (SSV)

100%

80%

60%

40%

20%

0%

Superprime Prime Near-prime Subprime Deep subprime No score Overall

6.4 Private label credit cards


Retail credit—financing offered to consumers by the same entity selling them the good or service
that the consumer may wish to finance—is almost as old as retail itself. According to one history,
“[m]ost retailers of durable goods sold them on credit by 1930; that year, 80 to 90% of furniture
was bought on credit, as were 75 percent of washing machines, 65 percent of vacuum cleaners,
18 to 25 percent of jewelry, 75 percent of radio sets, and 80 percent of phonographs . . . large
department stores offered to sell everything on some form of installment plan.”9 Even as the
general purpose credit card market grew from nascence to ubiquity over the latter half of the
twentieth century, the retail credit model has continued to prove attractive to consumers and
merchants. This model is by no means limited to credit cards, but cards play a prominent role in
the retail-branded credit market. Today, a wide variety of merchants, including many of the

9 David S. Evans & Richard Schmalensee, Paying with Plastic: The Digital Revolution in Buying and Borrowing, at 48
(MIT Press, 2nd ed. 2004).

210 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
nation’s largest, offer consumers credit cards that can only be used for purchase with that
merchant.10

Private label cards are distinctive in a number of ways. They are overwhelmingly issued to
consumers in the course of the retail experience, as we illustrated in Section 4.1.2. They also
tend to feature smaller lines than general purpose accounts across the credit spectrum. Interest
rates on private label cards are not only higher than rates on general purpose cards, they also
vary little across the credit spectrum, as shown in Section 3.2.1. Consumers exhibit different
usage patterns with digital account servicing, as we note in Section 5.1. Very few private label
cards incorporate “rewards” programs similar to those prevalent on general purpose cards;
instead, they offer consumers loyalty discounts and access to deferred interest promotions, the
latter of which we discuss in depth in Section 3.5.

In recent years, there have been two significant developments in the private label credit card
industry that have affected consumers lacking prime credit scores. The first shift is in consumer
composition and usage. As shown in Sections 2.2.2 & 4.1.4, the credit score mix of private label
card users has changed substantially. More consumers with lower scores are receiving cards,
more credit is being extended to such consumers, and that credit is becoming increasingly
utilized. While total new private label originations remain below pre-recession highs, the annual
number of private label cards originated to consumers lacking prime scores has exceeded pre-
recession levels in each of the previous four years. This shift is also reflected in usage patterns.
The total amount of private label credit available to consumers with non-prime credit scores is
now nearing all-time highs. Private label utilization rates for consumers with lower scores are
also at levels substantially higher than those we observe prior to the recession.11

The second shift has been in the structure of the market. In the recent past, private label credit
cards were often issued by retailers themselves. However, few American retailers of substantial

10 As we note in Section 4.1.2, many of these same merchants also offer retail co-brand products; however, these
products are much more limited in their availability to consumers who lack prime credit scores.

11 Additionally, a recent report by the Center for Financial Services Innovation also noted that “Retail Credit Cards”
are a “ubiquitous credit card option for those with FICO scores below 700.” See Eric Wilson and Eva Wolkowitz,
2017 Financially Underserved Market Size Study, at 23 (Dec. 2017).

211 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
size currently offer credit cards directly to their consumers. Instead, large retailers are
partnering with bank credit card issuers and other credit card specialists. These issuers and
specialists often focus (or have divisions that focus) on private label credit card issuance and
management.

This shift in market structure predates the recession, but the last decade has seen this trend
approach its logical endpoint. According to The Nilson Report, in 2004, even as large private
label specialists were ascending to dominance, a number of America’s most prominent retailers
still issued their own credit cards, including many of the nation’s largest department stores,
apparel retailers, and jewelers.12 In its comparable report on the market in 2016, Nilson reported
that nearly 97% of all private label purchase volume occurred on cards issued by just six large
banks. In May of this year, the retailer with by far the largest remaining “in-house” consumer
credit card program announced it would be transitioning away from in-house credit, partnering
with one of the large bank specialists to begin issuing the majority of its cards.13

These two shifts suggest private label credit cards are becoming a larger source of credit for
consumers with lower credit scores. The private label credit card debt of consumers lacking
prime credit scores was once owned by non-financial retailers with a primary business of selling
household goods and services. This same debt is increasingly on the books of banks that have
greater economies of scale, experience managing debt, easier access to capital markets, and a
primary commercial focus on assembling and maintaining loan portfolios. In both our 2015
Report and this report, we have increased our focus on the private label market as the contours
and consequences of these shifts have become apparent.

12 The Nilson Report, Store Cards in the U.S. 2004, Issue 838, (July 2005).

13 The Nilson Report, Store Cards in the U.S. 2016, Issue 1112, (June 2017). This trend also encompasses retail co-
brand cards; one retailer that operated one of the largest “in-house” retail co-brand portfolios just this year divested
its branded credit card portfolio, to a large mass market issuer. See Press Release, Synovus, Synovus Announces
Closing of Cabela’s Transaction (Sept. 25, 2017), available at http://www.businesswire.com/news/home/‌
20170925005838‌/en/Synovus-Announces-Closing-Cabela%E2%80%99s-Transaction; see also Press Release,
Signet Jewelers, Signet Jewelers Announces First Phase of Strategic Outsourcing of Credit Portfolio (May 25,
2017), available at http://s2.q4cdn.com/912924347/files/doc_news/‌2017/Credit-release-Final.pdf.

212 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
6.5 Secured credit cards
Many consumer loans are “secured,” meaning that the consumer agrees that, in the event of
default, a specifically-designated material asset or assets can be taken by the creditor. In some of
the largest consumer credit markets, this is the dominant model. Most mortgages and auto loans
are secured by the home or vehicle purchased using the proceeds of the loan.

Most credit card loans are unsecured. That has been true since the origin of the credit card
market in the middle of the twentieth century.14 However, a small but growing portion of the
credit card market consists of secured credit cards that require the applicant to provide a
security deposit before issuance, helping offset concerns the issuer may have about a borrower’s
creditworthiness.

Traditionally, secured cards have not been a primary focus for bank issuers. This fact is
evidenced by low penetration and few major marketing campaigns for such products. Until
recently, some mass market issuers had not developed their internal secured card models and
processes as fully as those for their unsecured products. In many cases, these issuers used
secured products for “counter-offers”—offers of a “next-best” product made alongside the
rejection of a consumer’s application for an unsecured product. Recent years, however, have
seen secured cards receive more attention from issuers, consumer groups, and media outlets,

14 There are two notable exceptions to this, other than the secured credit card products we discuss at length in this
section. The first are private label credit cards, some of which are secured by the product(s) consumers purchase. To
the Bureau’s knowledge, this represents a minority of private label accounts. The second are credit cards issued by
many credit unions as well as at least some banks, for which the issuer may attempt to assert a more general
security interest in the funds in consumers’ deposit accounts held by the issuer, without regard to a consumer’s
usage of those deposit accounts or whether those accounts have balances that generally match or exceed the card’s
credit line. Of course, the unsecured nature of most credit card loans does not preclude issuers from pursuing
delinquent borrowers in court, where a consumer could be ordered to forfeit a portion of their assets or wages to
satisfy their debt. This is distinct, however, from a model in which a distinct quantity of segregated funds is
mutually agreed upon in advance to serve as collateral.

213 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
perhaps because the products may offer a route for individuals looking to establish or build their
credit scores to do so.15

Today, most mass market bank issuers offer a secured credit card product. Several issuers are
testing and implementing innovative approaches to structuring, explaining, marketing, and
servicing these products. This section highlights the practices of mass market bank issuers
offering secured credit card products. We do not presently have adequate data to include
secured cards practices of credit unions in this analysis.16

Below, we examine the secured card market in three stages. First, we give a broad overview of
secured cards and how they work. Second, we analyze how secured cards, their role in the
market, and perceptions of them have evolved over time. Last, we examine mass market issuer
practices in detail, noting both what is common as well as what varies across major providers.

6.5.1 How do secured cards work?


The core proposition behind secured cards is simple. Issuers require consumers to provide a
dedicated security deposit in order to protect themselves against the potentially high credit risk
of issuing cards to borrowers with lower credit scores or limited credit information. The issuer
can mitigate or avoid losses by expropriating the deposit if the accountholder falls sufficiently
behind on their payments. As we discuss in more detail below, the security deposits allow
issuers to offer credit cards to consumers without prime scores on terms generally considered
more favorable relative to other card products available to them.

15 Recent Bureau research suggests that secured cards play a role in facilitating credit visibility in outsized proportion
to their share of the overall market. See Kenneth P. Brevoort & Michelle Kambara, Office of Research, Consumer Fin.
Prot. Bureau, CFPB Data Point: Becoming Credit Visible, (June 2017), available at https://www.consumerfinance.
gov/documents/4822/BecomingCreditVisible_Data_Point_Final.pdf.

16 Industry commenters have showcased different secured card practices in various credit unions and community
banks, asserting these institutions drive much of the consumer-friendly innovation within the secured card market.
See generally Rob Levy et al., Secured Credit Cards: Innovating at the Intersection of Savings and Credit, CFSI,
(May 2016), available at http://cfsinnovation.org/research/secured-credit-cards-innovating-at-the-intersection-of-
savings-and-credit.

214 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Secured credit cards can provide consumers both card credit and a path towards an improved
credit record. A consumer’s credit score can increase with regular, timely repayments on a
secured card because mass market issuers generally report secured credit card information to
the credit reporting agencies. Additionally, if consumers display consistent, timely repayment
habits, many issuers will consider converting them to unsecured credit card products through
the return of the security deposit. This process is often referred to as “graduation.”

Secured credit cards potentially allow issuers to develop relationships with a segment of
consumers they have traditionally found risky to serve. Outside research reports suggest secured
card portfolios have slim, and sometimes negative, profit margins in the short term, which could
be either a cause or an effect of issuers viewing secured card customers as longer-term
investments.17 Several mass market issuers, however, report that their secured card portfolios
are independently profitable—but nevertheless confirm that shorter-term intra-portfolio profits
are not the sole, or even primary, focus of offering secured cards. Consumers who graduate to an
unsecured product may feel some degree of gratitude or loyalty to the issuer that facilitated their
credit entry or credit score rehabilitation; at that point, the issuer may be able to interest them
in other products. Additionally, that issuer may have an advantage over competitors in terms of
both quality and timeliness of information about those consumers.

Secured cards can either be fully or partially secured, depending on whether the credit limit
equals or exceeds the security deposit. To the Bureau’s knowledge, the majority of secured cards
are fully secured at origination. Structuring products in this manner ensures an issuer will
generally have recourse equivalent to the entirety of the consumer’s outstanding balance in the
case of severe delinquency or default.18

Some mass market issuers allow for credit line increases that cause the card’s total limit to rise
above the amount of the security deposit. These increases make the product partially secured,

17 See id.

18 In some cases, payment card network rules may result in a consumer’s balance exceeding their credit limit. In
particular, network rules generally require that issuers settle a transaction if they had earlier authorized it. In
certain circumstances, that may lead to exceeding credit limits temporarily.

215 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
even if the card was originated as a fully-secured product. The account at this point becomes
riskier to the issuer because the security deposit no longer fully covers the credit limit. Only a
minority of large bank issuers allow secured cards to become partially secured.

The major risk to consumers using secured credit cards is that of severe delinquency or default.
A consumer who fails to make timely payments on their secured card could find that their
attempt to rehabilitate or establish their credit record has failed. However, the credit reporting
consequences of secured card failure are generally no different than for any other credit card.
This risk is the risk all consumers take when they utilize card credit.19

As shown in Figure 3 below, secured card products comprise only a small fraction of the credit
card market, accounting for roughly 5% of new general purpose credit card accounts in 2016,
according to Y-14 data.20 However, there has been recent growth in originations with nearly 1.8
million secured card accounts opened in 2016, a 15% increase over 2014.21 This growth is
concentrated among consumers without scores and consumers with deep subprime scores, and
secured cards have consistently represented over one-quarter of mass market accounts
originated to such consumers in recent years.

19 Consumers who default on their secured cards are also at risk of losing their deposit.

20 As we have noted throughout this report, Y-14 data cover a large share of the credit card market but may not be
representative of the market share that they do not cover. Given the reports that community banks and credit
unions offer significant numbers of secured cards, this caveat may be particular apt in the secured card context.
Nevertheless, information available to the Bureau does not suggest that the secured card share of the overall market
is much larger than the figures we derive from Y-14 data.

21 We deliberately show the share of originations, not the share of open accounts. Over a long-enough time horizon
many secured cards will graduate into unsecured cards, which are difficult to distinguish in the data from cards that
began life as unsecured cards. At any given point in time, therefore, the secured card share of open or active
accounts will underestimate the effect of secured cards on the market. Even so, the secured card share of accounts
in the Y-14 has grown rapidly over the last few years.

216 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 3: SECURED CARD ORIGINATIONS AS A SHARE OF ALL GENERAL PURPOSE ORIGINATIONS
(Y-14)22

35%

30%

25%

20%

15%

10%

5%

0%
2014 2015 2016

Superprime Prime Near-prime Subprime Deep subprime No score Overall

Secured credit cards are primarily used by consumers with no credit score or deep subprime
credit scores. As reflected in Figure 4, these two populations account for nearly three-quarters of
secured card originations in 2016. Secured card originations for consumers with superprime
credit scores are virtually nonexistent, and over 90% of all secured card originations are made to
consumers lacking prime credit scores.

22Our MMI data corroborate these findings; we report them below when discussing application volumes and
origination rates.

217 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 4: SECURED CARD ORIGINATIONS (Y-14)

100%

80%

60%

40%

20%

0%
2014 2015 2016
Superprime Prime Near-prime Subprime Deep subprime No score

6.5.2 Market evolution


Secured credit cards have evolved significantly over the past few decades. Secured cards are a
newer product than their unsecured counterparts and were first devised in the late 1970s, when
a number of savings and loan institutions pioneered a new type of credit card loan that required
a deposit be held in an interest-bearing savings or term account.23 From its inception, the
product was geared towards consumers with damaged or thin credit records.

Throughout the 1980s and 1990s, secured credit card products became associated with a
prominent form of consumer fraud. Third-party “brokers” would take a security deposit
payment but not provide a card in return. This fraud was quite prevalent. In 1988, over one
million Americans were victims, paying more than $50 million to brokers, while only 10% of

23Larry Santucci, The Secured Credit Card Market, at 6 (Federal Reserve Bank of Philadelphia, Discussion Paper,
Payment Cards Ctr., 2016), available at https://www.philadelphiafed.org/-/media/consumer-finance-institute
/‌payment-cards-center/publications/discussion-papers/2016/dp16-03_the-secured-credit-card.pdf?la=en.

218 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
these borrowers received a secured card.24 The credit card networks implemented more
stringent guidelines around secured card programs to limit this kind of fraud.25 The damage to
the overall secured card brand, however, took some time to dissipate.

In recent years, issuers have invested more in marketing secured cards. Consumer groups and
various media organizations have also drawn attention to secured cards, focusing on their
potential to offer consumers with limited or damaged credit records a way both to access credit
and to build or rebuild their credit record. An additional driver of secured credit card popularity
may be third-party credit card comparison sites, which frequently highlight secured credit cards
as an important channel for consumers unlikely to be approved for an unsecured credit card.

6.5.3 Consumer experience


With the exception of the security deposit, secured credit cards function quite similarly to
unsecured cards. Stressing this similarity is a fundamental component of several mass market
issuers’ product branding efforts. Consumers are able to make purchases and revolve balances,
paying monthly interest charges and other common fees when applicable. The reusability of a
revolving line of credit and the ability to make purchases directly with a network-branded card
distinguishes secured credit cards from other credit-building products such as credit-builder
loans.

Mass market issuer secured cards currently offer many of the same credit card features included
with unsecured cards. Most secured cards allow free access to commercially-accepted credit
scores and access to digital account servicing platforms, among other features.26 However, only
11% of open secured card accounts in the Y-14 were associated with some type of rewards
program in 2016, and virtually all of them were cash rewards programs. Recently, more issuers
have begun providing secured cards with rewards features similar to those they offer on

24 Id.

25 Id. at 7.

26 We discuss both of these account features in more detail in Sections 5.1 and 5.2.

219 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
unsecured cards, suggesting this share may grow over the next few years. Large bank issuers
have also recently made rewards and other mainstream features more prominent in their
messaging efforts surrounding secured cards.

Below, we examine the consumer secured credit card experience step by step. We begin with
how consumers learn about and apply for the card, discuss terms and processes relating to the
security deposit, and move on to discussing issuer practices relating to both positive outcomes,
like graduation to an unsecured product, and negative outcomes, like delinquency and charge-
off. This analysis highlights differences in practices at several mass market bank issuers but is
not intended to describe in full the practices of all issuers of secured cards.

SOLICITATION AND ACQUISITION


Low product awareness is one barrier to secured credit adoption. Outside research has found
that many individuals lacking prime credit scores may not be aware that secured credit cards are
a potential option for them, or even that the product exists.27 Secured credit cards are generally
not featured in marketing campaigns to nearly the same degree as unsecured cards. Secured
card offers comprise a very small share of total direct mail credit card offers—only 0.08% in
2016.28

Consumers report that in-person experiences at bank or credit union branches are the most
common channel by which they hear about secured credit cards.29 One estimate found almost all
secured card originations in 2015 came from either in-branch applications or invitation-to-apply
mailings.30 A consumer may first apply for an unsecured account but be declined due to a
damaged or thin credit record. Rather than simply reject the consumer, an issuer with a secured
card program might attempt to follow up with information about a secured credit card, soliciting
the consumer to consider applying for that product. This could happen both in-branch, where a

27 Rob Levy et al., supra note 16, at 15.

28 See Mintel Group Ltd., Credit Card Response Rates, (Aug. 2017).

29 Rob Levy et al., supra note 16, at 16.

30 Larry Santucci, supra note 23, at 15-16.

220 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
bank employee could follow a rejection with a counter-offer on the spot, or by mail, where a
consumer rejected for one card may find a credit card solicitation in their mailbox just a few
days later.

Counter-offers are not guaranteed offers of credit, but remain a significant practice for some
issuers. A consumer responding to a counter-offer may still be denied for a secured card product
if, for example, the lender determines that the applicant does not meet ability-to-pay
requirements.

APPLICATIONS AND APPROVALS


Our surveyed issuers reported 6.4 million secured card applications in 2016, an increase of 21%
from 2015. Some 98% of that growth was driven by consumers with no credit score or deep
subprime credit scores.

The process of applying for and receiving a secured credit card differs from that of unsecured
cards. Consumers could feasibly pass an issuer’s underwriting and ability-to-pay tests but be
unable to fund the security deposit. Our data render it difficult to make direct comparisons to
approval rates on unsecured credit cards. We therefore do not use the terms “approvals” or
“approval rates” here, instead referring to originations and origination rates. Figure 5 shows the
numbers of secured card applications and originations in each of the last two years.

FIGURE 5: SECURED CARD APPLICATIONS AND ORIGINATIONS (SHADED AREA REPRESENTS


ORIGINATIONS) (MMI)

4.0M

3.5M 27%

3.0M
32%
2.5M
21%
2.0M 23%
1.5M

1.0M
42% 41%
0.5M 56% 56%
61% 64% 58% 62%
0
2015 2016
Superprime Prime Near-prime Subprime Deep subprime No score

221 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
The number of secured credit cards originated by mass market issuers increased 7% from 2015
to 2016, a slower rate than the 21% growth rate for applications. Virtually all growth in secured
card originations is comprised of consumers with no credit score or deep subprime credit scores.
As shown below in Figure 6, secured cards were especially common among younger consumers,
representing more than 7% of all mass market cards issued to consumers under 35.

FIGURE 6: SECURED CARD ORIGINATIONS AS A SHARE OF ALL GENERAL PURPOSE ORIGINATIONS, BY


AGE (MMI)

8%

6%

4%

2%

0%
2015 2016
<21 21-34 35-64 65+ Overall

As shown below in Figure 7, a majority of secured card applications from consumers under the
age of 35 are from consumers without a credit score. That proportion rises to over four-fifths
when examining consumers under 21. These proportions are similar for secured card
originations. This is unsurprising—younger consumers have not had as many opportunities to
establish their credit, making secured cards a potential means for establishing a credit record
and eventually a credit score. Bureau research has shown that consumers who transition out of

222 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
credit invisibility frequently do so at a young age; our sample found 80% of these transitions
occurred before age 25.31

FIGURE 7: SHARE OF SECURED CARD ORIGINATIONS BY AGE, 2016 (MMI)

<21

21-34

35-64

65+

0% 10% 20% 30% 40% 50% 60% 70% 80% 90% 100%
Superprime Prime Near-prime Subprime Deep subprime No score

Digital acquisition
As is true for the broader credit card market, the internet is a growing source of secured card
applications. Although physical sites like bank branches and financial centers still remain the
predominant avenue for customer acquisition, several large bank issuers report that they no
longer allow consumers to apply for secured card products in branches. Instead, these issuers
require individuals to use their website or call to apply—though a consumer may be assisted in
completing that online application at the bank branch.

Third-party comparison sites (“TPC sites”) offer a unique opportunity for secured card issuers.
These sites allow issuers to target consumers who may be interested in building or rebuilding
their credit score but who may not be aware of secured cards. Many TPC sites have targeted lists

31 Kenneth P. Brevoort & Michelle Kambara, Office of Research, Consumer Fin. Prot. Bureau, CFPB Data Point:
Becoming Credit Visible, at 5 (June 2017), available at https://www.consumerfinance.gov/documents/‌4822/
BecomingCreditVisible_Data_Point_Final.pdf.

223 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
and filtering criteria for individuals with lower credit scores or without credit scores, and most
TPC sites we reviewed direct such consumers to secured cards as one means of working towards
an improved credit score. Some of these sites also produce editorial content that explains how
secured cards work and what to consider when researching secured cards. TPC sites list a wide
range of secured card offerings, from those offered by mass market issuers to those offered by
smaller or more niche issuers. We discuss third-party comparison sites more broadly in Section
7.

Some large bank issuers with robust online origination practices are increasingly investing in
TPC sites. These issuers report a substantial minority of secured card originations from this
channel. However, other issuers report they do not list their secured card products on TPC sites,
electing to maintain their counter-offer practices and more traditional forms of secured card
marketing.32

Ability-to-pay requirements in the application process


Once a consumer has applied for a secured credit card, they must successfully pass through the
issuer’s underwriting process as well as pass the ability-to-pay (“ATP”) requirements instituted
pursuant to the CARD Act.33 Bank issuers report no meaningful differences between their ATP
criteria for secured and unsecured products.34 Using our MMI data, we find around 12% of

32Third-party comparison sites have the ability to display card product information regardless of whether an issuer
approves of such display on the site. Issuers that do not list their secured card products on these sites may have
some type of provision in their agreements with sites specifying this arrangement. Consumers can still apply for
these products on issuers’ websites.

33 15 U.S.C. § 1665e; 12 C.F.R. § 1026.51.

34Several industry commenters stated that ATP requirements are redundant when applied to secured card
applications, as consumers will effectively demonstrate their ability to pay when they fund their security deposits.
Commenters therefore questioned the value of the ATP requirements for secured cards, with at least one industry
commenter having noted this concern during the initial rulemaking process of the CARD Act. See Letter from
Odysseas Papadimitriou, C.E.O. of Evolution Finance, to Monica Jackson, Office of the Exec. Sec’y, Consumer Fin.
Prot. Bureau, at 1-2 (Dec. 21, 2012) (regarding the Credit Card Act of 2009 ability-to-pay clause), available at
https://www.regulations.gov/document?D=CFPB-2012-0039-0008. Industry commenters have proposed
adjusting debt obligation calculations to allow the security deposit to qualify as an ATP qualification, and have
claimed that requiring additional ATP analyses increases the time and costs associated with approving secured
cards, a process which they believe may be limiting access to secured card products for consumers. Similarly,

224 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
secured card applications were denied by issuers solely due to ATP test results. Across all credit
score tiers, ATP denial rates for secured card applications are higher than those for general
purpose card applications from the same issuers. Similar to ATP denial rates for all general
purpose cards, the secured card rate of denial for consumers without credit scores is
significantly higher than for other credit tiers. ATP denial rate data are shown in Figure 8 below.

FIGURE 8: ATP DENIAL RATE ON SECURED AND UNSECURED CARDS, 2016 (MMI)35

20%

15%

10%

5%

0%
Superprime Prime Near-prime Subprime Deep No score Overall
subprime
Secured Unsecured general purpose

As shown in Figure 9 below, the difference in ATP denial rates between applications for
unsecured and secured products persists even restricting our analysis to consumers with
incomes of less than $30,000. This finding is true across all credit score tiers.

NAFCU has commented that a consumer’s ability to pay should be covered by their shares in the credit union. See
NAFCU Comment Letter, at 3.

35
To establish a standardized comparison, Figures 8 and 9 only include issuers that issue both secured and
unsecured general purpose credit cards.

225 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 9: ATP DENIAL RATE ON SECURED AND UNSECURED CARDS, CONSUMERS WITH INCOMES
<$30,000, 2016 (MMI)

30%

25%

20%

15%

10%

5%

0%
Superprime Prime Near-prime Subprime Deep No score Overall
subprime

Secured Unsecured general purpose

SECURITY DEPOSITS
Once consumers have passed an issuer’s underwriting and ATP thresholds, they must fully fund
the security deposit.36 For consumers who lack sufficient available funds, this may be the largest
hurdle to completing the approval process.37 Recent Bureau research on financial well-being
suggests many individuals with limited savings and financial safety nets struggle more broadly

36Several consumer groups stated that consumers may misunderstand the role of the security deposit. These groups
expressed concern that consumers could believe the funds remain accessible once they receive the product or might
not know that issuers can access these funds to pay off delinquent balances. See, e.g., Consumer Action Comment
Letter, at 5. Issuers we surveyed reported that they had seldom heard this complaint from consumers.

37
This point is frequently highlighted by industry commenters. See, e.g., Visa Comment Letter, at 6-7. See also Rob
Levy et al., supra note 16.

226 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
with meeting current and ongoing expenses.38 The very nature of the product, therefore, limits
many consumers’ ability to procure a secured card.39

Issuer practices meaningfully diverge on several key practices relating to security deposits. No
single approach for structuring and funding the security deposit has become standard in the
secured card market. We discuss these points in detail below.

Mechanics of funding
The core mechanism underlying the funding of the security deposit is broadly consistent across
the market—a consumer permits the issuer to open a new deposit account in the individual’s
name.40 The consumer is then responsible for transferring funds into this new account. All mass
market issuers accept payment from a savings or checking account via the Automated Clearing
House (“ACH”) network to fund the new account. The deposit account from which that payment
is initiated generally does not need to be one held by the secured card issuer. A consumer can
initiate the payment online or by phone. Several large bank issuers allow consumers to pay with
a money order or by mailing a check, but this practice is not universal.41 No issuer we surveyed
currently permits payment by cash in-branch, or via the major payment card networks.42 The

38 See Consumer Fin. Prot. Bureau, Financial Well-Being in America, (Sept. 2017), available at
https://www.consumerfinance. gov/documents/5606/201709_cfpb_financial-well-being-in-America.pdf.

39 One detailed analysis of secured card origination patterns notes peaks corresponding to the months when most
eligible consumers receive their tax refunds, further suggesting that this market would be among those that would
benefit from measures that more broadly improve consumer liquidity. See Larry Santucci, supra note 23.

40 As we noted above, we exclude from this definition of secured cards those credit cards against which an issuer
attempts to assert a more general security interest in the consumer’s depository account(s). This is a common
practice among credit unions, though it is not unknown to banks as well. Practices relating to such products are
distinct from those associated with the secured cards we discuss in this section.

41 The Federal Deposit Insurance Corporation found that, in 2015, 7% of households were “unbanked,” and a further
19.9% of households were “underbanked.” For these consumers, restricting the funding channel to these accounts
may introduce an additional barrier to funding the deposit. Federal Deposit Insurance Corp., FDIC National Survey
of Unbanked and Underbanked Households, at 1 (2015), available at https://www.fdic.gov/householdsurvey‌/2015
/2015report.pdf.

42 The mechanics of funding a security deposit are a vector for innovative practices. For example, one major prepaid
card issuer launched a secured credit card product in late 2016 that allows consumers to fund their security deposit

227 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
majority of issuers require consumers to pay their security deposit in one lump sum, though at
least one issuer allows for multiple payments over a period of time.

Once the funds are deposited, consumers no longer have access to them, even in an emergency,
unless and until the consumer closes the account. This information is conveyed to the consumer
in the product’s terms and conditions. Currently, no mass market bank issuer places the security
deposit in an interest-bearing account.43

The amount of the security deposit is determined by two thresholds. First, all issuers have a
standard minimum and maximum security deposit for secured card accounts. Minima range
from $50 to $300 while maxima range from $1,000 to $10,000. No consumer can initially fund
deposits outside of that range. Second, most large bank issuers use their underwriting and
ability-to-pay processes to determine a consumer-specific maximum security deposit that is
generally less than the standard maximum security deposit. Consumers then have the ability to
fund their deposit up to any amount between the issuer’s standard minimum deposit and the
consumer-specific maximum approved amount. Most bank issuers later allow consumers to
increase their security deposits beyond the initial consumer-specific maximum security deposit
amount through credit line increases, a topic further explored below. Some issuers with lower
standard maxima for the initial security deposit eventually allow consumers to increase their
security deposit—and thus their credit line—beyond that threshold.

in cash at various retailers. The Bureau is interested in the positive consumer effects that these new approaches to
funding security deposits may have.

43Industry commenters advocating for the broader adoption of secured cards have noted their potential as a savings
tool; issuers could encourage consumers to retain their security deposit as a checking or savings account after
graduation to an unsecured card, a practice not currently employed in the secured card market to the Bureau’s
knowledge. Placing the security deposit in an interest-bearing depository account and providing the interest to
consumers who retain their accounts has been proposed by the same industry commenters as a method of
incentivizing consumers to continue saving.

228 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Most bank issuers require the security deposit to be funded by the individual who has opened
the account.44 This may present a challenge for consumers unable to fund the security deposit
themselves, but who may have willing assistance available from family, friends, or another third
party. In most cases, a third party would have to provide funds to the applicant, not the issuer
directly. However, some issuers do allow third parties—including non-profit organizations—to
fund the deposit directly on behalf of a consumer.

The length of time consumers have to fund their security deposits varies substantially between
issuers. Most issuers provide consumers between 21 to 30 days to fund their deposit. However,
the range of practices here is wide, from requiring that the security deposit be submitted with
the application to allowing a consumer almost three months to fund the deposit.

Available data suggest that funding the deposit remains a major challenge for consumers.
Several issuers report more than half of consumers who pass underwriting and ability-to-pay
criteria and are informed of their eligibility to fund their security deposit do not ultimately
complete this process—and therefore do not receive the card for which they applied.

CREDIT LINE MANAGEMENT


Credit limits on secured cards tend to be lower than those on unsecured credit card products. As
examined in the latter half of this section, secured cards originated in the last quarter of 2014
had average credit lines of roughly $450 at origination. As is true with unsecured general
purpose cards, credit limits on secured cards vary according to credit score. Secured cards
originated in the last quarter of 2014 to consumers with deep subprime credit scores had lower
average initial credit lines.

Credit line increases for secured cards can be separated into two types: those secured by an
additional deposit, and those that do not require an additional deposit. For the first type, an
increase in credit line requires a commensurate increase in the security deposit. The line
remains fully secured, so the higher credit limit does not translate into higher risk for the issuer.

44The overwhelming majority of secured credit card accounts are individual accounts—only 3.5% have any
authorized users beyond the accountholder, compared to 18.6% of unsecured accounts. See Larry Santucci, supra
note 23, at 23.

229 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Bank issuers generally require that security deposit increases come in certain increments. (For
example, an issuer may only allow credit line increases which are multiples of $100.) Most
issuers allow consumers to request these credit line increases at any time, though at least one
issuer prevents consumers from increasing their credit line in the first 60 days to combat fraud.
This is the most common type of credit line increase offered on secured cards. Issuers do not
proactively provide this type of credit line increase because doing so would require consumers to
increase funding to their security deposit.

The second type of credit line increase does not require an additional deposit. This type of line
increase is the only type of proactive credit line increase (“PCLI”) offered by large bank issuers
on secured cards. If an account began as fully-secured, this kind of increase would result in a
transition to partially-secured status. Only a handful of issuers offer this second type of line
increase on secured cards, and they vary in their practices. At least one issuer employs an
internal program that automatically rewards customers who satisfy certain repayment
conditions. If, for example, consumers make a certain number of on-time payments, they are
automatically provided with a credit line increase. Some issuers use marketing materials to
inform consumers about which factors trigger PCLIs. Other issuers do not publicize their
internal process for granting such increases. Once an account becomes partially secured,
however, some issuers limit account eligibility for credit line increases. Issuers offering PCLIs
report increasing volumes, at least partially driven by growing portfolios of secured cards.

Secured cards in our vintage analysis did not experience much line growth over the subsequent
two years. As we show in the latter half of this section, secured card consumers with below-
prime credit scores saw their credit lines increase $150 on average, and consumers without a
score had their credit lines raised $70.

230 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
CREDIT SCORE CHANGES
Increases in credit score are contingent upon the issuer reporting account status to the credit
reporting agencies.45 Bank issuers generally report secured cards in the same way as unsecured
cards. Some issuers will flag the accounts as “secured cards” when submitting information to
credit reporting agencies. Others do not. This difference has little consequence in terms of how
account information changes a consumer’s credit record, both positively and negatively.

Early evidence on the effectiveness of secured credit cards in improving consumers’ credit
records is positive, though mixed. One estimate found consumers who are able to keep their
accounts open over a two-year period experienced credit score increases of 24 points on average.
However, consumers whose accounts were closed or charged off saw credit score decreases
averaging over 40 points.46 We analyze additional data on secured card performance below.
Notably, we show that relatively few secured card accounts in our vintage were charged off prior
to graduation.

GRADUATION
A key feature—and possibly a key selling point—for many secured cards is the prospect that the
account may, after a period of the accountholder making regular payments, transition into an
unsecured account. The consumer has their deposit returned but still maintains full, now
unsecured use of the card. Surveys by outside research groups indicate that a substantial
majority of consumers with secured cards intend to continue banking with the issuer of their
secured card if they are offered an unsecured product.47 Bank issuers have a competitive
incentive to graduate consumers who display appropriate repayment behavior because

45As noted, secured cards are issued by banks and credit unions of various sizes. While this report has focused on the
practices of large bank issuers, anecdotal evidence and editorial articles have noted that not all secured card issuers
report secured card payments to the credit bureaus. Our data do not give us insight into this trend.

46One study found accounts closed with a balance saw their credit score decrease 42 points, accounts closed without
a balance saw their credit scores decrease 46 points, and accounts charged off saw their credit score decrease 60
points, respectively. See Larry Santucci, supra note 23, at 25.

47 See Rob Levy et al., supra note 16.

231 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
improved creditworthiness may attract attention from other issuers, which generally use credit
bureau data to identify prospects for solicitation.

Most, though not all, issuers have processes and policies to define, allow, and facilitate
graduation. Those issuers that do not permit graduation refund the consumer’s deposit upon
closure (in good standing) of the account, and only extend an unsecured card to that consumer
in response to a separate and independent application.

For most issuers, the process of graduation entails returning a consumer’s security deposit,
leaving other product terms or features unchanged. Once the deposit is refunded, the product is
generally treated the same as any unsecured card in that issuer’s portfolio. No bank issuer, to
the Bureau’s knowledge, offers a form of “partial graduation” in which a consumer’s security
deposit is only partially returned. Issuers that have graduation policies return the entire deposit
at once.

The majority of issuers begin automatically reviewing a consumer’s account for graduation after
the account has been open for a certain prescribed period of time. Bank issuers with internal
graduation policies may begin reviewing secured accounts monthly for graduation eligibility
anywhere from four months to 12 months after origination. Issuers with internal graduation
policies generally review accounts for graduation each month.

Issuers consider numerous criteria when deciding whether to graduate consumers. These relate
to the consumer’s behavior using the card as well as other information about the consumer.
Common factors considered include credit score, payment history, length of payment activity,
ability to pay, and payment ratios, as well as other product usage metrics. There are no
guarantees any particular consumer will be upgraded within a certain timeframe—or ever, for
that matter. However, it appears that most consumers who use the card regularly and stay
current eventually see a significant possibility of graduation, assuming the issuer has an internal
graduation policy.

Bank issuers either return the security deposit to the consumer’s original checking or savings
account or, if that account is no longer open or available for an ACH transfer, provide the
consumer a check. Depending on the channel used to return the deposit, the process can take
several weeks.

Bank issuers with graduation policies convey the process to consumers with varying degrees of
specificity. None describe their criteria in great detail, but some issuers do convey the account

232 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
age at which reviews start and the kinds of factors considered in the graduation decision through
their websites and product materials. Issuers note that these criteria are proprietary and are
liable to change, making them hesitant to convey the information to consumers and set specific
expectations of when graduation may occur.

ACCOUNT CLOSURE, DELINQUENCY, AND CHARGE-OFF


In many cases a consumer or issuer may wish to close a secured card account, a process that
entails more complexity than closing an unsecured account. The initiation of an account closure,
whether by a consumer or an issuer, triggers a similar process for most bank issuers. If a
consumer has no balance, the full security deposit is returned to the consumer. If the consumer
does have an outstanding balance, it is deducted from the security deposit and the surplus is
refunded to the consumer. Most issuers will hold the deposit for an extended period, sometimes
more than two billing cycles, to ensure no existing pending payments against the account
remain. If the balance is greater than the security deposit, the issuer will apply the entirety of the
deposit, and the consumer will have to pay the remainder, or potentially be subject to issuer
debt collection processes.

Sometimes consumers fail to make timely or adequate payments on their secured cards. Several
issuers close an account when it becomes delinquent beyond a certain threshold. For several
issuers this threshold is 60 days, but others allow consumers up to 120 days before closing the
account. Some, but not all, bank issuers that close the account at 60 days will apply the security
deposit against the outstanding balance at this point.

Most issuers will charge off the account once an account is 120 days delinquent, applying the
security deposit against the outstanding balance.48 Issuer practices for reporting charge-offs to
credit bureaus vary. If the security deposit covers the outstanding balance, several issuers will
report a closure to the credit reporting agencies, though at least one issuer reports this scenario
as a paid charge-off, a practice that mitigates the negative effect of the charge-off on a

48This is less than the 180 days allowed by prevailing regulatory guidance. See Office of the Comptroller of the
Currency, Policy Implementation – The Guidance Attached to this Bulletin Continues to Apply to Federal Savings
Associations, OCC Bulletin 2000-20, (June 20, 2000), available at https://occ.gov/news-issuances/‌bulletins/‌
2000/bulletin-2000-20.html.

233 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
consumer’s credit score. If the balance is not covered by the security deposit, all bank issuers
report a charge-off to the credit bureaus.

6.6 Consumer use of these products


6.6.1 Data and methodology

DATA
The results below are drawn from two data sources. The first source is Y-14 data. These data
cover products issued by mass market issuers, including unsecured general purpose cards,
private label cards, and secured credit cards.

Our second source is Subprime Specialist Vintage data (“SSV”). These data were provided to the
Bureau by a group of subprime specialists, comprised both of credit card issuers and non-issuer
program managers. SSV data are aggregate data. They contain no account-level information.49

METHODOLOGY
To illustrate the consumer experience, we rely here on a vintage analysis, not a portfolio-level
analysis. This means that we identify a certain fixed group of accounts and follow only those
accounts over time. In this case, we cover accounts originated in the fourth quarter of 2014 to
consumers who lack prime credit scores. These accounts span the four product classes we
discussed above: unsecured general purpose cards offered by mass market issuers, subprime
specialist cards, private label cards, and secured cards. Our data allow us to track them for two

49As noted in this report’s introduction, these data differ in both provider composition and structure from the
Subprime Specialist Issuer (“SSI”) data we reported on in our 2015 Report. We also note that there are certain small
differences between how the Y-14 and SSV data are structured that could influence certain results on the margins.

234 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
full years after their origination.50 We divided results for each product class into two credit score
tier groups—first, the group of all accounts held by consumers with scores, and second, the
group of all accounts held by consumers without scores.

There are three factors that caution against direct comparisons of these product classes. The
first is the different credit score tier composition of the vintages. When our comparisons focus
on consumers with scores, we re-weight the group of consumers with scores to match that of the
subprime specialists. This means that when we report on subprime specialist metrics for
consumers with scores, we are reporting the actual observed values for those providers; for the
other three product classes, the reported values are weighted. For example, when we report on
delinquency rates, the rates shown in the graphs should not be taken to represent the actual
delinquency rates for the non-subprime specialist product classes. In some cases we reference
the actual values we observe for certain product classes at certain credit score tiers. We consider
consumers without scores separately—they are not part of the weighted scored group.

There are two other complicating factors for which we cannot control. One of them is the
possibility that credit score composition within credit score tiers may differ across product
classes. To construct a purely hypothetical example, it may be the case that most unsecured
mass market issuer general purpose cards originated to consumers with subprime scores are
originated to consumers whose scores are in the 610 to 619 range, while for subprime specialists,
most such originations may be to consumers with scores between 580 and 589. If this is the
case, our weighting will not fully control for credit score differences in our vintage.

The final factor is the possibility that the consumers who originated accounts of one product
class in that period may differ systematically from consumers who originated accounts in other
product classes in a number of other ways that are not, or are only partially, correlated with
credit score, and are not otherwise detectable or differentiable in our data. It may be, for
example, that consumers lacking prime scores self-select in favor of one product class over
another based on factors we cannot observe. To the extent issuers can discern such factors, they

50As we discuss below, accounts leave our vintage under some circumstances. These include charge-off and closure.
For secured cards, it also includes graduation to unsecured cards. This should be kept in mind when interpreting
the findings we report below, especially in later periods.

235 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
may also contribute to differences in issuer marketing strategies. These differences should and
do temper our readiness to draw comparative conclusions about the products themselves based
on differences in certain metrics of use.

Two final caveats should be noted. First, while we have no reason to think the late-2014 vintage
we use is unrepresentative of consumers’ experiences with the product classes we examine, at
least in recent years, there are likely at least some differences, distinctions, and idiosyncrasies in
the set of accounts we examine. Second, our data do not cover the full universe of credit card
product classes originated to consumers lacking prime scores during the fourth quarter of 2014.
All accounts represented in the findings below combined represent only around half of all
accounts originated to consumers lacking prime scores in the final three months of 2014 that we
observe in our Consumer Credit Panel. It is almost certainly the case that, of the accounts not
included in our data, at least some would fall into each of the four product classes we cover. We
do not know whether our data are representative of the portion of the market that they do not
cover. Our findings should be considered with these caveats in mind.

Given these caveats and concerns, our analysis is not intended to be directly comparative. For
purposes of convenience, we present results for each product for the same metric in the same
part of our review, and that depiction includes the limited weighting for credit tier size noted
above. But our goal is to describe each product on its own terms, mindful of the many ways in
which these products, their providers, and the consumers who use them may differ—in ways
that the available data cannot fully address.

6.6.2 Findings
We organize our findings into four stages. First, we describe the product class vintages in detail.
Second, we present basic metrics about product usage. Third, we present metrics that focus on
consumer cost. Fourth, we present metrics that focus on delinquency and charge-off.

236 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
DESCRIPTIVE STATISTICS
The product classes in our vintage differ substantially in their size.51 Of the four, secured cards
represent the smallest share of our overall vintage. They are followed by subprime specialist
accounts, which are roughly double the number of secured cards. Private label cards are roughly
five times the size of the secured card portfolio. Unsecured mass market general purpose cards
(“unsecured MMGP”) are nearly eight times the size.

As shown below in Figure 10, there are also significant differences in credit score composition
across the product types. Mass market issuers originated just about half their non-prime
unsecured cards, considering both general purpose and private label accounts, to consumers
with near-prime scores in our observation period. Compared to unsecured MMGP, private label
accounts were also comprised of relatively fewer deep subprime and no-score accounts and
relatively more subprime accounts.

FIGURE 10: CREDIT SCORE TIER SHARE OF PRODUCT CLASS VINTAGES (Y-14, SSV)

Unsecured
MMGP

Private label

Subprime
specialist

Secured

0% 25% 50% 75% 100%

Deep subprime Subprime Near-prime No score

51 Figures describing differences in product class composition are, of course, not subject to the weighting scheme we
described earlier. Only the subsequent figures describing performance and outcomes are weighted.

237 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
By contrast, subprime specialists originated well over half of all of their accounts to consumers
with subprime or deep subprime scores, but originated very few accounts to consumers lacking a
credit score. Secured cards were dominated by no-score originations, with most of the
remainder divided between deep subprime and subprime.

As discussed earlier in this section and in Section 4, the difference in the composition of non-
prime accounts is driven substantially by issuer practices, not just in underwriting and approval
but also in marketing. In the case of subprime specialists this is particularly stark. As we noted
above, these specialists tend to restrict their marketing efforts to targeted mailings, and to
restrict or even prohibit applications for their cards to those consumers they have not
affirmatively targeted. The flip side to this is the comparatively high approval rate for those
applications that do come in. In the fourth quarter of 2014, we found that these providers’
approval rates for the deep subprime, subprime, and near-prime credit tiers were 75%, 85%, and
89%, respectively.

These product classes also differ substantially in their initial APRs.52 APR data are shown in
Figure 11 below. Turning first to products originated to consumers to scores, we find that almost
all accounts in our vintage fall into one of three APR “buckets.” For subprime specialist cards
and private label cards, only two of those three buckets are necessary to capture the range of
account APRs—rates between 12% and 24%, and rates between 24% and 36%. All secured cards
in our vintage experienced rates equal to or greater than 24%.

Unsecured MMGP cards are starkly different: three-fifths have an initial interest rate of zero. In
all or almost all cases these interest rates are promotional. However, data limitations do not
allow us to determine the length of these promotions, or the distribution of post-promotional
interest rates. We discuss actual experienced costs on these accounts in detail below.

52One place these product classes do not differ substantially is income—at least to the limited extent we can observe
this metric. Our data only allow us to compare the share of accounts originated to consumers whose incomes were
either more than or less than $30,000 annually, and for all four product classes, the latter share varied only within a
narrow band of 22% to 31%. Whether or not these product classes differ substantially within those two income
groups, however, is not visible using our data.

238 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 11: INITIAL APR SHARE OF PRODUCT CLASS VINTAGES, ACCOUNTS HELD BY CONSUMERS WITH
SCORES (Y-14, SSV)

Unsecured MMGP

Private label

Subprime specialist

Secured

0% 20% 40% 60% 80% 100%

0% 12-23.99% 24-35.99%

This picture is different for consumers—but only in the unsecured MMGP and private label
product classes. In the former, far fewer consumers seem to receive promotional interest rates;
in the latter, a much larger share of accounts are in the lower band. These data are shown in
Figure 12 below.

FIGURE 12: INITIAL APR SHARE OF PRODUCT CLASS VINTAGES, ACCOUNTS HELD BY CONSUMERS
WITHOUT SCORES (Y-14, SSV)

Unsecured MMGP

Private label

Subprime specialist

Secured

0% 20% 40% 60% 80% 100%

0% 0-11.99% 12-23.99% 24-35.99%

239 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
USAGE METRICS
In this subsection, we explore how, and how much, consumers make use of their cards in the
different product classes. Note again that all figures for consumers with scores are weighted
unless otherwise specified.

Balances
Figure 13 highlights a recurring theme in this analysis, one that touches on the differences
between the various product classes as well as to some degree the limitations of our data.
Consumers with scores who took up unsecured mass market general purpose products
accumulated the highest average balances by far, well outpacing subprime specialist cards, with
secured and private label cards experiencing similar and smaller average balances. This
disparity only grew with the passing of time, and cut across all credit score tiers.

FIGURE 13: AVERAGE BALANCE PER ACCOUNT, WEIGHTED SCORED (Y-14, SSV)53

$1,200

$900

$600

$300

$0
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8

Unsecured MMGP Private label Secured Subprime specialist

The higher unsecured MMGP balances were likely related to the fact that unsecured MMGP
products in our vintage are more heterogeneous. As we noted above, our data do not allow us to

53For the sake of brevity, we shorten “accounts held by consumers with/without scores” in figure titles to simply
“scored” and “unscored” from this point forward.

240 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
disaggregate those general purpose accounts originated by mass market issuers that featured
terms and conditions similar to subprime specialists from those that offered terms and
conditions more similar to a broader mass market card.

Figure 14 shows the same metric for consumers without scores. Consumers who lacked scores
accumulated smaller average balances over time on all accounts, as compared to consumers
with scores. The gap between unsecured MMGP and subprime specialist products was smaller
for these accounts, but the gap between secured card and private label was larger.

FIGURE 14: AVERAGE BALANCE PER ACCOUNT, UNSCORED (Y-14, SSV)

$750

$500

$250

$0
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8
Unsecured MMGP Private label Secured Subprime specialist

FIGURE 15: SHARE OF ACCOUNTS WITH A BALANCE, WEIGHTED SCORED (Y-14, SSV)

100%

80%

60%

40%

20%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8
Unsecured MMGP Private label Secured Subprime specialist

241 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
As shown in Figure 15 above and Figure 16 below, inactivity rates are low for the accounts in our
vintage. Consumers with scores whose accounts are not charged off or closed overwhelmingly
and consistently maintain balances on their accounts throughout our observation period. The
exception to this are private label accounts, where we see lower and declining rates of usage
among open accounts over the first two years of the accounts’ lifespans.

FIGURE 16: SHARE OF ACCOUNTS WITH A BALANCE, UNSCORED (Y-14, SSV)

100%

80%

60%

40%

20%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8

Unsecured MMGP Private label Secured Subprime specialist

This dynamic is similar, but not identical, for consumers without scores. These consumers tend
to see higher rates of inactivity on all product classes but subprime specialist cards. These
inactivity rates are still consistent for all product classes except private label, which sees a
somewhat larger decline in activity rates than the other product classes over our observation
period.

Low and consistent rates of inactivity mean that, as we go forward, few of the results we observe
will be explainable by net shifts of accounts into or out of inactive status. Private label is an
exception here, but that shift is small enough that it can only explain commensurately small
shifts in relevant metrics. This is in contrast to charge-off, which as we noted above is a more
important “background” variable across many findings.

Credit line and utilization


Average credit line was substantially higher for scored unsecured MMGP cards than for all other
cards, which were originated with similar average lines. Line on accounts held by consumers

242 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
with scores increased for all four product classes—but it increased by far the most on unsecured
MMGP accounts, with the differences in the magnitude of increase being noticeable but smaller
between the other three product classes. We discuss rates of credit line increase and decrease
below in this section.

FIGURE 17: AVERAGE CREDIT LINE PER ACCOUNT, WEIGHTED SCORED (Y-14, SSV)

$1,800

$1,350

$900

$450

$0
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8

Unsecured MMGP Private label Secured Subprime specialist

Results for consumers without scores, shown in Figure 18 below, are different in several respects.
While these consumers received the largest average lines on unsecured MMGP accounts, they
received substantially larger lines than consumers with scores did on private label accounts—
though average line did not increase much over the two-year lifespan. Little increase was also
seen in average secured card lines, and average line on these cards was actually surpassed by
subprime specialist cards over the course of the observation period.

243 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 18: AVERAGE CREDIT LINE PER ACCOUNT, UNSCORED (Y-14, SSV)

$2,500

$2,000

$1,500

$1,000

$500

$0
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8

Unsecured MMGP Private label Secured Subprime specialist

Patterns of credit line increases, shown in Figures 19 and 20, are quite different across the
product classes.54 Secured cards and unsecured MMGP tend to see most of their CLI activity in
the earlier periods we observe.55 Subprime specialist cards see the highest rates in the second
year of our vintage, while private label cards generally have consistently low but non-zero rates
of CLI. This analysis is largely the same for consumers without scores, with the exception that
subprime specialist customers without scores experience strikingly higher CLI rates than their
scored counterparts.

54The numerator in the rates shown in Figures 19 and 20 is the total number of credit line increases awarded, not the
total number of accounts receiving one or more credit line increases. It is possible that some accounts received more
than one credit line increase during each year. This also applies to the CLD rates shown in Figures 21 and 22.

55
This is consistent with an increasing focus by mass market issuers on credit line management as a risk
management tool, which we discuss in more detail in Section 4.

244 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 19: CLI RATES, WEIGHTED SCORED (Y-14, SSV)

80%

60%

40%

20%

0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

FIGURE 20: CLI RATES, UNSCORED (Y-14, SSV)

120%

100%

80%

60%

40%

20%

0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

Figures 21 and 22 depict credit line decrease (“CLD”) rates. CLD rates are generally very low—
and almost nonexistent in the secured card and subprime specialist vintage. Unsecured MMGP
and private label cards, however, show consistent CLD activity, suggesting that credit line
management in both directions is a larger part of the risk management picture for those product

245 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
classes. CLD rates are higher for consumers without scores than for consumers with scores, but
otherwise a similar pattern holds across the product classes.

FIGURE 21: CLD RATES, WEIGHTED SCORED (Y-14, SSV)

7%

6%

5%

4%

3%

2%

1%

0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

FIGURE 22: CLD RATES, UNSCORED (Y-14, SSV)

5%

4%

3%

2%

1%

0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

Overall, product class utilization rates on accounts originated to consumers with scores were
stable over our observation period, with only secured card utilization showing a consistent

246 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
upward trend over the period. Utilization data are shown in Figures 23 and 24 below.
Consumers without scores registered much lower utilization rates on all of these product
classes—except subprime specialist cards, where they were only a notch lower than consumers
with scores. Secured cards saw the next-greatest intensity of line usage among this cohort, with
most unsecured MMGP and private label line less utilized over the two years.

FIGURE 23: AVERAGE UTILIZATION, WEIGHTED SCORED (Y-14, SSV)

80%

60%

40%

20%

0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

FIGURE 24: AVERAGE UTILIZATION, UNSCORED (Y-14, SSV)

80%

60%

40%

20%

0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

247 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Payment rates
As discussed in Section 2.4.2, payment rates are an important measure of consumer payment
behavior. Payment rates are calculated as the ratio between consumers’ payments against the
accounts and their total balance. Payment rate data are shown in Figures 25 and 26 below.

FIGURE 25: PAYMENT RATES, WEIGHTED SCORED (Y-14, SSV)

80%

60%

40%

20%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8

Unsecured MMGP Private label Secured Subprime specialist

Secured cards stand out drastically on this metric. While the other three product classes
experience similar payment rates, secured cards experience payment rates that are consistently
at least double those of the other classes. Secured card payment rates also decline dramatically
over our observation period. Payment rates also decline for the other three classes, but the
decline is less marked.

Consumers without scores generally register higher payment rates than consumers with scores.
Otherwise, three of our four product classes exhibit similar dynamics. Only unsecured MMGP
products stand out with much higher payment rates among this cohort.

248 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 26: PAYMENT RATES, UNSCORED (Y-14, SSV)

40%

30%

20%

10%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8

Unsecured MMGP Private label Secured Subprime specialist

Purchase volume
Purchase volume data are shown in Figure 27 below. Among consumers with scores, all product
classes recorded the majority of their purchase volume in the first year of usage, with the
proportionate drop-off being sharpest among subprime specialist cards and private label cards.
Private label cards, however, experienced much lower average purchase volumes than other
cards overall.

On average, consumers with scores recorded the highest average purchase volumes over the full
two years we observe on subprime specialist cards. Private label cards were by far the laggard by
this metric, with unsecured MMGP and secured both registering over $1,500 in average
purchase volume over two years. Consumers without scores, on average, spent significantly
more than consumers with scores over the lifespan of all product classes except private label,
where they spent significantly less.

249 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 27: AVERAGE MONTHLY PURCHASE VOLUME PER ACCOUNT, WEIGHTED SCORED (Y-14, SSV)

$250

$200

$150

$100

$50

$0
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

Purchase volume, however, is limited by the credit line of the card—consumers who receive
cards with smaller lines may wish to make more purchases but cannot do so unless they make
payments to “free up” some of the line. This may influence the absolute average purchase
volume figures we show above. To try and view the cumulative utility consumers received from
their accounts through a different lens, we measure cumulative purchase volume against
original line. The results are shown in Figures 28 and 29 below.

FIGURE 28: CUMULATIVE PURCHASE VOLUME-TO-ORIGINAL LINE RATIO, WEIGHTED SCORED (Y-14, SSV)

700%

600%

500%

400%

300%

200%

100%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8

Unsecured MMGP Private label Secured Subprime specialist

250 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Secured card customers make far and away the most purchases relative to their initial line. This
finding is in sync with our earlier finding that these accounts experience higher payment rates.
However, this does not explain the gap between unsecured MMGP and subprime specialist
cards. Instead, this may be one place where differences in cumulative charge-off rates are
playing a role. (We discuss those differences at the end of this section.) Results are broadly
similar for consumers without scores, but these consumers spend significantly less on both
secured and private label cards, bringing the former more in line with unsecured MMGP
products.

FIGURE 29: CUMULATIVE PURCHASE VOLUME-TO-ORIGINAL LINE RATIO, UNSCORED (Y-14, SSV)

600%

500%

400%

300%

200%

100%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8
Unsecured MMGP Private label Secured Subprime specialist

Other volume
Balance transfer information is shown in Figure 30. Subprime specialist and private label
products recorded effectively no balance transfer volume at all in our observation period.
Relative to original line, secured cards experienced some but not much balance transfer volume.
Unsecured MMGP cards experienced some balance transfer volume that continued to increase

251 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
over our observation period.56 However, even this volume was very low relative to purchase
volume as measured by the same metric.

FIGURE 30: CUMULATIVE BALANCE TRANSFER VOLUME-TO-ORIGINAL LINE RATIO, WEIGHTED SCORED
(Y-14, SSV)

2.5%

2.0%

1.5%

1.0%

0.5%

0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

FIGURE 31: CUMULATIVE CASH ADVANCE VOLUME-TO-ORIGINAL LINE RATIO, WEIGHTED SCORED (Y-14,
SSV)

20%

15%

10%

5%

0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

56For more on balance transfers, see Section 5; we show there that most balance transfer volume occurs on prime and
superprime accounts.

252 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Cash advances were much more voluminous than balance transfers on all product classes except
private label cards, which do not generally offer cash advances. As shown in Figure 31,
consumers with scores recorded cumulative cash advance volumes equivalent to nearly one-fifth
of their original line over our observation period. Subprime specialist customers without scores
recorded comparably less cash advance volume, but still much more than any product class
recorded in balance transfers. Data for consumers without scores are in Figure 32. These
consumers recorded less cash advance volume, especially those using unsecured MMGP
products.

FIGURE 32: CUMULATIVE CASH ADVANCE VOLUME-TO-ORIGINAL LINE RATIO, UNSCORED (Y-14, SSV)

12%
10%
8%
6%
4%
2%
0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

Secured card graduation


As discussed above, most secured card issuers offer their customers the possibility of
“graduating” to an unsecured account if they meet certain criteria over the course of using the
account for a certain length of time. By observing when accounts are redefined as unsecured by
issuers, we can effectively measure the share of accounts in our vintage that graduate. The
results are shown below in Figure 33.57

57While not precisely commensurate with Y-14 data, other findings from our MMI survey generally corroborate the
results shown here.

253 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 33: CUMULATIVE SHARE OF SECURED CARDS THAT EXPERIENCE GRADUATION (Y-14)

50%

40%

30%

20%

10%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8
Scored Unscored

Graduation was a common experience for our vintage. Around one-third of accounts originated
to consumers with scores and nearly half of those originated to consumers without scores
graduated by the end of their second year on the books.58 This activity is concentrated in the
fourth and fifth quarters. Even so, consistent graduation activity in the later periods from a
shrinking pool of accounts (that are not graduated, closed, or charged off) suggests that
consumers not found eligible for graduation immediately upon eligibility nevertheless still
retain meaningful opportunities to graduate thereafter.

COST METRICS
In this subsection, we examine the magnitude and components of costs to consumers in our
vintage. Our metrics largely parallel those relied on in Section 3 of this report. As noted in that
section, consumers who lack prime scores experience higher costs of credit than consumers with

58Preliminary results indicate that, of those accounts that graduate, including those which were originated to
consumers without scores, nearly 98% are held by consumers who had scores at the time of graduation. This
strongly implies that consumers without scores who take up a secured credit card succeed in building a credit record.
Our analysis has not yet advanced sufficiently to allow us to speculate as to whether consumers succeed in building
positive credit records. One commenter shared findings that also suggest that secured card ownership tends to
result in consumers without scores transitioning into scored status. Their further findings are only suggestive, but
indicate that many of those consumers without scores are likely to achieve scores of 660 or greater—but that many
may only achieve scores less than 660, at least within two years of origination. See ABA Comment Letter, at 11-12.

254 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
prime scores.59 The results of our vintage analysis confirm this finding. There are many
differences in magnitude and composition across product classes and across different credit
score tiers, but in general these consumers pay all-in costs that, depending on product class and
credit score, can routinely exceed 30-50% of average outstandings on an annualized basis. Of
course, these costs may be lower than some other alternatives available to consumers who lack
prime credit scores.

Overall total cost of credit data for accounts held by consumers with scores are shown in Figure
34. We observe relatively high cost figures for subprime specialist products.60 This is primarily
driven by two intersecting factors. The first is that these accounts have high fees concentrated in
the first and fifth quarters of the vintage.61 The second is high rates of closure, including charge-
off.62 In combination, these two factors cause any measurement of costs that is expressed
relative to balances (like TCC and the other cost metrics we discuss below) to be higher for a
given vintage than the same measurement for the portfolio overall.63 In both years of our
vintage, subprime specialist accounts experience costs more in line with the other product
classes in the second, third, and fourth quarters of both years.

The lowest cost of credit is experienced on unsecured MMGP cards, though these costs increase
somewhat in the second year. All other product classes experienced a decline in costs from the
first to the second year. Results for consumers without scores, not visualized, were largely
similar.

59 Section 3.1.1.

60 As noted, Section 3.1.1 contains a general comparison of the total cost of credit for general purpose and private
label accounts held by consumers in each credit score tier.

61 For a comparison of the fee burden on accounts held by consumers in each credit score tier, see Section 3.3.1.

62 Section 6.6.2 (see “Delinquency and Charge-Off”) contains data on charge-off rates for these four product types.
Charge-off information for general purpose and private label cards overall is discussed at Section 2.6.2.

63 Thus, our 2015 Report notes that TCC for subprime specialist issuer accounts for 2014 was 41%, which is lower
than shown in Figure 34. See 2015 Report, at 79. That number covers all credit tiers, but, as noted in that report,
subprime specialists overwhelmingly serve consumers with non-prime scores. See id. at 14.

255 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 34: TOTAL COST OF CREDIT, WEIGHTED SCORED (Y-14, SSV)

80%
70%
60%
50%
40%
30%
20%
10%
0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

Examining effective interest rates (“EIRs”) demonstrates that one significant driver of lower
unsecured MMGP costs may be promotional APRs. These cards feature very low EIRs over their
first year; as we noted above, three-fifths of the accounts in this product class vintage received
an initial APR of 0%, which was likely promotional. Our market monitoring suggests these rates
tend to expire on or before the twelve-month mark. After that expiration, these cards feature
effective interest rates broadly similar to the other product classes. EIR data are shown in Figure
35.

FIGURE 35: EFFECTIVE INTEREST RATE, WEIGHTED SCORED (Y-14, SSV)

25%

20%

15%

10%

5%

0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

256 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
More generally, the product classes experience a wide spread of effective interest rates earlier in
our observation period, and then converge at a higher level. The reasons for this are likely
particular to each product class. We have already discussed the incidence of promotional APRs
on unsecured MMGP cards. As we noted in the previous subsection, secured cards tend to
feature very high payment rates earlier in their lifespan. If this is because many consumers are
transacting on these cards, they are likely reaping the benefits of their cards’ grace period and
paying no interest on their balances. As for private label, many of the balances on these cards
are likely subject to deferred interest promotions. Given that consumers with lower scores have
the highest propensity to eventually incur deferred interest, these consumers may experience
lower EIRs in early periods when interest is being deferred, but experience higher rates when
that interest is assessed. Subprime specialist products consistently feature the highest EIRs.
Effective interest rates for consumers without scores in our vintage, not visualized here, are
similar to those for consumers with scores across all product classes.

Figure 36 shows the fees component of the overall cost of credit experienced by accounts in our
vintage held by consumers with scores. Subprime specialists stand out as charging the most in
fees relative to balances. Other findings here may be more surprising. Private label is the only
product class which does not use annual fees, which we discuss in more detail below. However,
private label cards are still more expensive in terms of fees-to-balances than unsecured MMGP
cards. This appears to be driven by two factors. The first factor is the exceptionally high
prevalence of late fees on these accounts. Even when comparing within each credit score tier,
private label cards see more frequent late fees than general purpose cards, a finding we reported
in Section 3. The second factor is smaller average balances. Since average late fees are especially
high for private label accounts, as we show below, these accounts pay a high fee bill relative to
their balances even in the almost complete absence of any other fees.

257 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 36: TOTAL FEES INCURRED AS AN ANNUALIZED % OF CYCLE-ENDING BALANCES, WEIGHTED
SCORED (Y-14, SSV)

50%

40%

30%

20%

10%

0%
Year 1 Year 2
Unsecured MMGP Private label Secured Subprime specialist

Repricing activity, shown for consumers with scores in Figure 37 below, plays out very
differently across product classes.64 Secured cards and private label accounts show very little
repricing activity, with the exception of periods proximate to increases in background interest
rates that trigger the variable rate repricing exception. In those quarters, repricing rates are very
high. Unsecured MMGP cards in our vintage do not seem to use the variable rate exception at
high rates. They do, however, feature the highest repricing rates in other quarters, suggesting
some combination of the expiration of promotional rates or issuers applying rate increases
pursuant to other exceptions. Subprime specialist accounts see by far the lowest repricing rates,
and our SSV data allow us to definitively say that most such providers forego repricing to any
significant degree.

64The CARD Act and its implementing rules restrict when issuers can reprice existing accounts; these rules are
discussed in more detail in Section 3.2.2.

258 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 37: QUARTERLY INCIDENCE OF UPWARDS APR REPRICING, WEIGHTED SCORED (Y-14, SSV)

100%

80%

60%

40%

20%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8

Unsecured MMGP Private label Secured Subprime specialist

Fee composition data are shown in Figure 38 below. Consumers face a mix of fees in each
product class. All products feature annual fees except private label cards. All non-private label
cards offer balance transfer and cash advances in theory, but as we observed above, usage of
these features was most intense on unsecured MMGP and secured cards, and therefore those
consumers paid fees to access them most frequently. Subprime specialists assess a mix of fees
similar to secured cards, but with more variety.65 Fee composition is largely the same for
consumers without scores.

65Some consumers who apply for subprime specialist cards are assessed a fee as a precondition of the account being
originated. This fee must be paid by the consumer prior to the date on which the account may first be used by the
consumer to engage in transactions. We do not incorporate such fees into any cost metrics in this section; however,
we note that the subset of consumers in the SSV data subject to pre-account opening fees were assessed over $10
million in such fees.

259 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 38: FEE COMPOSITION, SCORED (Y-14, SSV)66

Subprime
specialist

Secured

Private label

Unsecured MMGP

0% 25% 50% 75% 100%

Late fee Annual fee BT + CA fees Overlimit fee Debt suspension fee Other fees

For consumers with scores, average late fees on unsecured MMGP, private label, and subprime
specialist products generally appear to reflect issuers charging the maximum amounts allowable
under the safe harbors in regulations implementing the CARD Act.67 This is not the case for
secured cards, where at least some issuers are charging significantly less.

66The Y-14 data report each fee individually as net of any reversals, whereas our SSV data only allow us to rely on net
fee figures when examining the total fee bill assessed to accounts. If some fees are reversed at higher rates than
others, this may mean the subprime specialist schedule shown in Figure 39 only approximates the composition of
the final consumer fee bill.

67 See 12 C.F.R. § 1026.52(b)(1)(ii).

260 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 39: AVERAGE LATE FEE, WEIGHTED SCORED (Y-14, SSV)

$30

$25

$20

$15

$10

$5

$0

Unsecured MMGP Private label Secured Subprime specialist

DELINQUENCY AND CHARGE-OFF


Rates of what we term “severe” delinquency—delinquencies with a length equals to or exceeding
three billing cycles, or 60 days—are high for all product classes for consumers with scores except
secured cards, where they are very low.68 This is unsurprising—these consumers have
distinguished themselves as having both the ability and the desire to post a significant sum as
collateral before procuring the card. They therefore have the most incentive to stay current, and,
if being able to fund the deposit is correlated more broadly with consumer liquidity, perhaps the
most means to do so as well. Severe delinquency data are shown in Figures 40 and 41 below.

68 For historical delinquency data for general purpose and private label card accounts, see Section 2.6.1.

261 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 40: SHARE OF ACCOUNTS SIXTY OR MORE DAYS DELINQUENT, WEIGHTED SCORED (Y-14, SSV)

20%

15%

10%

5%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8
Unsecured MMGP Private label Secured Subprime specialist

Perhaps more surprisingly, subprime specialist accounts in this vintage experience lower
delinquency rates than unsecured MMGP and private label. However, this is due in large part to
a bias in how this metric is conventionally calculated—namely, it excludes accounts that have
been charged off. As we will show later, charge-off rates differ significantly between the product
classes in our vintage.

FIGURE 41: SHARE OF ACCOUNTS SIXTY OR MORE DAYS DELINQUENT, UNSCORED (Y-14, SSV)

20%

15%

10%

5%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8
Unsecured MMGP Private label Secured Subprime specialist

262 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Consumers without scores also experience by far the lowest rates of delinquency on secured
cards. However, subprime specialists consumers do end up experiencing the highest rates of
delinquency towards the end of our observation period, though they lag private label earlier.

To best assess charge-off outcomes in the context of our vintage analysis, we look at the
cumulative share of all accounts in the vintage that are charged off. These data are shown in
Figures 42 and 43.

The cumulative share of accounts charged off for consumers with scores are significant for all
four product classes, but they are nevertheless quite low for secured cards and only somewhat
higher for private label cards.69 Unsecured MMGP cumulative charge-off rates are substantial—
but nowhere near subprime specialist accounts. Nearly two-fifths of the subprime specialist
accounts originated to consumers with scores in our vintage were charged off during our
observation period.

These results are even more striking for consumers without scores. Only a small share of
secured card accounts were charged off during our observation period, and private label and
unsecured MMGP performance by this metric was better for consumers without scores than for
consumers with scores. However, consumers without scores who had subprime specialist
accounts in our vintage experienced an even higher propensity to charge off during our
observation period than did consumers with scores, with nearly half of such accounts being
charged off within two years of origination.

69For a comparison of the share of consumers who have experienced at least one charge-off in the last year for
general purpose and private label cards, see Section 2.6.2.

263 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 42: CUMULATIVE SHARE OF ACCOUNTS CHARGED OFF, WEIGHTED SCORED (Y-14, SSV)

40%

30%

20%

10%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8

Unsecured MMGP Private label Secured Subprime specialist

FIGURE 43: CUMULATIVE SHARE OF ACCOUNTS CHARGED OFF, UNSCORED (Y-14, SSV)

50%

40%

30%

20%

10%

0%
Q1 Q2 Q3 Q4 Q5 Q6 Q7 Q8

Unsecured MMGP Private label Secured Subprime specialist

As we noted at the outset of this analysis, the available data do not allow us to attribute
differences between product classes to any one cause. Indeed, the data show significant
differences across the product classes in the composition of consumers being served and the
behavior of those consumers. Therefore, it is unclear to what degree the differences we observe
in cumulative charge-off rates are a result of product structure or provider practices—if indeed
they are related at all.

264 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
7. Third-party comparison sites
Digital technologies have significantly changed the way that some consumers obtain credit card
products. Among the primary vectors of this transformation are third-party credit card
comparison websites (“TPC sites”). These sites, which are not owned and operated by issuers,
allow consumers to obtain information about multiple cards in a manner responsive to their
input. In this section we describe this part of the credit card market and its growing effect,
qualitatively analyze TPC site practices and how consumers experience TPC sites, and explore
the dynamic between TPC sites and credit card issuers.

7.1 Introduction
7.1.1 Background
The internet has transformed how consumers buy and shop for all types of goods and services—
a transformation that is still ongoing. A recent survey by the Pew Research Center found that
four-fifths of Americans have made an online purchase.1 A similar proportion consults online
ratings and reviews before buying something for the first time.2 Younger consumers report
integrating the internet into their commercial lives at higher rates than older consumers.3 This
transformation has occurred entirely within the lifetimes of even the youngest U.S. adults.4

1 Aaron Smith & Monica Anderson, Online Shopping and E-Commerce, at 5, Pew Research Center (Dec. 19, 2016),
available at http://www.pewinternet.org/2016/12/19/online-shopping-and-e-commerce.

2 Id. at 3.

3 Id. at 6.

4 In 1996 Amazon.com recorded net sales of $15.7 million, comprised entirely of online books. A child born that year
turns 21 this year, a year in which Amazon.com is expected to recognize nearly $169 billion in revenue generated by

265 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
This rapid transformation poses opportunities and challenges to consumers, market
participants, and regulators. This is in part because this transformation entails transposing
existing elements and patterns of shopping and purchasing to a novel environment—but it is
also because internet technologies allow for new elements and patterns that have no analogue in
the “brick and mortar” world. Some of the consequences of this transformation are obvious: in
the second quarter of 2017, $111 billion, or nearly 9% of all U.S. retail sales volume, was
classified as “e-commerce,” a share two-and-a-half times greater than the share reported just a
decade ago.5 Other consequences, perhaps just as important, may not be as obvious, or may be
more difficult to identify or quantify.

The internet’s effect goes beyond digitizing the point of sale. New tools and business models
have already had a revolutionary impact on how consumers shop in certain markets. The travel
industry, for example, has been notably altered by the rise of “aggregators,” which allow
consumers to compare hotels, airline fares, rental car rates, and other travel services in order to
find offers that best meet their specifications and budget. Just one American company that
operates a number of such sites reported facilitating the booking of over half-a-billion nights of
accommodation in 2016.6

This same kind of model is already beginning to have a substantial effect on how consumers
procure and use financial products. Consumers who query a search engine seeking information
regarding a wide range of financial services will receive results directly linking to such products’
providers, but also results linking to a myriad of intermediary websites which advertise that they
can help consumers learn more about products and find those best suited to their needs.

These intermediaries have already had a major effect on the consumer credit card market.
Emerging relatively recently, third-party websites that position themselves as helping

selling a wide variety of physical and digital goods. See Mike Preuss, Investor Letters: Jeff Bezos’ 1997 Letter to
Amazon Shareholders, Visible (Feb. 23, 2016), available at https://visible.vc/blog/investor-letters-amazon-1997.

5 U.S. Dept. of Commerce, Quarterly Retail E-Commerce Sales, 2nd Quarter 2017, U.S. Census Bureau News (Aug. 17,
2017), available at https://www2.census.gov/retail/releases/historical/ecomm/17q2.pdf.

6 Priceline Group Inc., Annual Report (Form 10-K), at 41 (Feb. 27, 2017), available at http://files.shareholder.com/‌
downloads/‌PCLN/5681067909x0xS1075531-17-9/1075531/filing.pdf.

266 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
consumers select credit cards to meet their personal needs have grown into large companies.
These “TPC sites” generate substantial internet traffic and media attention, and in many cases
earn substantial revenues.

7.1.2 Data and methodology


We rely on three broad sources of information in this section. First, we use data provided
directly by market participants. We use our MMI data, from a survey of mass market issuers, as
well as another survey specifically directed at TPC sites. In these surveys, respondents provided
a range of information relevant to these sites. Second, we use commercially available market
data, such as information on credit card marketing provided by Mintel Comperemedia. Third,
we draw on our own qualitative review of TPC sites. There are more sites within our qualitative
review than our quantitative survey.

Each of these sources has limitations. The data provided by respondent TPC sites do not
encompass all existing sites. At this point, we cannot estimate what share of TPC sites currently
active in the market are included in respondents’ data, or determine how representative that
share is of all providers. The MMI data cover all TPC sites doing business with the surveyed
issuers, but these issuers may not be representative of the market as a whole. Additionally, those
two data sources combined do not cover identical sets of TPC sites—issuers likely do business
with TPC sites not included in our survey of sites, and vice-versa. In addition, almost none of
these data are at the consumer level, meaning both our qualitative and quantitative findings for
now can only suggest certain dynamics of the consumer experience in this market. Throughout
this section, we pose our results as precisely as we can, but in all cases we should be seen as
attempting to illustrate a market sector about which there is relatively little public information.
As throughout the rest of this report, we focus on reporting findings that illuminate the state of
the credit card market.

7.2 Product and market overview


7.2.1 What are third-party comparison sites?
Despite their rapid rise to an important position in the market, defining TPC sites is not
straightforward. A wealth of more traditional editorial material covering or comparing credit

267 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
cards—published by both general-interest media publications and online sites specializing in
analyzing financial products—is available to consumers.7 In fact, a good deal of this kind of
content is available on websites that we would also classify as TPC sites. In our view, not all
websites with content aiming at assisting consumers in selecting a credit card qualify as TPC
sites. We identify four criteria to help determine which sites we consider to be TPC sites for the
purposes of this section:

 Operated by a third party: we exclude from this analysis sites operated directly by
credit card issuers. TPC sites invest substantially in their own brand, a signal that
they intend to build consumer recognition and trust and distinguish themselves from
any particular issuer or issuers whose products they are recommending or reviewing
at a given point in time;

 Dynamic: TPC site content is updated quickly and routinely to respond to new
product information. Sites are built around a queryable database of credit card
products that is regularly and frequently updated to incorporate new products,
eliminate obsolescent products, and refresh card terms and conditions as they
change. This contrasts with static or manually-updated content such as editorial
articles;

 Responsive to user input: generally speaking, TPC sites display different


information to different consumers based on information solicited by the TPC sites
about a particular consumer’s characteristics and preferences. We discuss how this
plays out in practice below, but a TPC site should be distinguished from a website that
presents a static list of credit cards or even a set of static lists; and

7 One good example of this is the online review website Wirecutter, which offers a vast number of in-depth reviews of
a broad array of products, including everything from cable modems to infant car seats to sleeping bags for car
camping. It also includes assessments of the “The Best Cash-Back Credit Cards” and “The Best Travel Rewards
Credit Cards”—but these assessments alone do not make Wirecutter a TPC site. Wirecutter is illustrative, however,
of how a wide variety of digital tools, platforms, and publications is having a rapidly-increasing effect on consumers’
shopping patterns. Last year the company was purchased by The New York Times Company for $30 million. Sydney
Ember, New York Times Company Buys The Wirecutter, N.Y. Times (Oct. 24, 2016), available at
https://www.nytimes.com‌/‌2016/10/25/business/media/new-york-times-company-buys-the-wirecutter.html.

268 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
 Direct application referring: TPC sites all link directly to the product application
sites of issuers. Links to issuers’ application sites are integrated into nearly all types of
site content, including and, for these purposes, especially the “comparison engine”
output we discuss in more detail below.

These criteria are intended solely to help us draw boundaries for the purpose of this analysis. As
online tools grow more sophisticated, there may be an increasing number of “borderline” cases
that match these and other potential criteria but nonetheless differ from present-day TPC sites
in important ways.

7.2.2 Market evolution


To the Bureau’s knowledge, the first third-party comparison sites launched in the 2000s, and
gained notable presence in the credit card marketplace in the subsequent decade.8 These sites
deployed cutting-edge branding and marketing techniques at a time when the market as a whole
was still recovering from the recession. Many mass market issuers soon began compensating a
large number of such sites in exchange for referring applications. (We discuss the structure of
presently prevailing issuer compensation of TPC sites in Section 7.4.1 below.) Collectively, TPC
site referrals quickly grew to comprise a substantial share of credit card originations, with
consumers reporting 8% of their most recent credit card applications coming via these sites by
2014.9 For some large issuers, moreover, this share was markedly higher. The last few years have
brought signs of industry maturation, with the largest TPC sites entrenching their brands in

8 At least one TPC site had an online presence before the 2000s. Bankrate.com was founded as a print publication in
1976 and brought its content online in 1996; however it was not until 2004 that their online comparative credit card
tools debuted.

9 Mintel Q2 2014 Response Rates.

269 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
consumer and media consciousness, increasingly concentrating consumer traffic and issuer
compensation in a smaller number of sites.10

Most recently, these larger TPC sites have seen a convergence in their practices. A few of the
largest TPC sites were built on models centered on providing consumers with regular, free credit
bureau information, which was then used as an input into the sites’ “comparison engines.” (We
define this term in more detail below.) Within the last few years, most TPC sites within the scope
of our qualitative review—particularly the larger sites—have integrated credit record
information into their offerings in some form. Additionally, most of them currently offer at least
some editorial content. To distinguish themselves from competitors (or to prevent competitors
from overly distinguishing themselves), TPC sites also offer a variety of services in addition to
credit card product comparison tools. Comparison services may also extend to other financial
products and markets and, in some cases, even into non-financial goods and services. While
emphasis on these different elements varies across sites, TPC sites appear to be settling on a
common foundational model.

7.2.3 Market dynamics


A number of websites meet the credit card TPC site criteria outlined above. These sites vary in
size, resources, target consumer audience, and breadth of credit card product coverage. Some
sites focus on a niche category of consumers with specific financial goals, while others endeavor
to be a one-stop resource for as broad a swathe of consumers as possible. The TPC site market
exists in a broader financial ecosystem in which financial institutions, affiliate marketers, and
lead generators endeavor to connect consumers with financial products.

AFFILIATE MARKETING
TPC sites in many ways mirror broader trends in online financial marketing and online
commerce, where the role of third-party “lead generation” and “affiliate marketing” firms in

10Contributing to this process may have been a recent shift in issuer practices, in which certain issuers with a
significant presence in this area stopped compensating sites with practices that did not meet certain issuer
standards.

270 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
connecting businesses to consumers has grown. Working with these kinds of third parties
reduces businesses’ risks when investing in marketing. The third party commits resources up
front to attract consumers, and is only compensated when its attempts to connect those
consumers to the businesses that compensate it cross some threshold, such as the
consummation of a sale.

This model can benefit both providers and third parties. A company that specializes in this form
of marketing may have more effective and efficient strategies and tactics for customer
acquisition than many of the businesses it services. Providers can structure their arrangements
with the third party so that their marketing budgets are paying only for success. TPC sites
fundamentally operate in this way: their revenue is overwhelmingly generated by issuer
compensation for referring approved applications. We discuss revenue and other dynamics
between TPC sites and issuers in further detail in Section 7.4 below.

TPC SITES AND LEAD GENERATION


The term “lead generator” describes several business models in which market players have
varied roles. In one common model, lead generators identify consumers who have indicated
interest in credit products through clicking on a search result or a banner ad. They then sell this
consumer’s information to companies that may provide the consumer with relevant products.
Lead generators often use a reverse auction or similar process to sell consumers’ information to
lenders.

TPC sites share similarities with this model but differ in meaningful ways. As with loan
providers in the lead generator model, credit card issuers increase the likelihood that a
consumer sees their product by paying TPC sites. Unlike the lead generation model, however,
consumers are able to view multiple products at once, meaning that they potentially have fuller
information before they make the decision to apply for a particular credit card. Consumers are
also often able to filter results by the issuing company or other criteria, avoiding financial
institutions or product types that they do not prefer, a practice that does not occur in the lead
generation space. Most fundamentally, consumers using TPC sites are making the decision
about whether to connect directly to an issuer and submit an application. With lead generation,

271 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
providers are purchasing the consumer’s contact information, and then directly contacting the
consumer to solicit an application. Though both models connect consumers with products, there
are significant differences between the two models.11

SITE BRANDING
Branding is valuable to sites, helping differentiate TPC sites from competitors and deepening
relationships with consumers. Though varying to a degree, large TPC sites display similar
products. (To the Bureau’s knowledge, no site has exclusive rights to market any one issuer’s
products.12) Because large sites generally present products from similar pools of credit cards, it
is necessary for the sites to build, maintain, and promote their own brand independent of the
cards they feature. Some sites target different consumer bases, a core business decision which
informs a site’s design and presentation of credit card products. Therefore, sites with underlying
databases that include a similar set of products may nevertheless emphasize different products
or different kinds of products.

In recent years, most large, established TPC sites have revised their website designs, employing
elements consistent with broader trends in web design and signaling ongoing investment in site
branding and presentation. Smaller, more targeted TPC sites vary more widely in their designs,
which may reflect more limited resources or a more loyal consumer base.

Most sites have built brands by marketing themselves as consumer allies that want to help users
through the complicated process of selecting a credit card. Sites also frequently highlight their
other services and features in marketing materials, often stating that they benefit a consumer’s
overall financial health.

11 However, based our review of site disclosures, it appears that at least some TPC sites also gather information that
may be used for lead generation. As discussed further below, some sites encourage users to become members, a
process that requires the input of some personally identifiable information. That information may be used to help
deliver a more valuable TPC service, but in some cases—at least based on disclosures reviewed—information then
enables more standard lead generation activity as well. It should be noted, however, that some sites explicitly
disavow this kind of activity in their terms of service and privacy policies.

12 A recent lawsuit addressed the right of a TPC site to include an issuer’s products in their comparison engine even
without that issuer’s permission or consent. First Premier v. Odysseas Papadimitriou, No. 14-4055 (D.S.D. Jan. 7,
2015).

272 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
7.2.4 Market effect
Consumers are increasingly shifting their time and attention into digital channels, and issuers
are following them. As a result, the importance of TPC sites as drivers of credit card applications
and originations has increased dramatically in recent years. Respondent sites report that
“unique visitors” to credit card-related pages totaled more than 200 million in 2016.13 (This
number includes some double-counting of visits from the same IP address and the same
consumer.14) This represents more than 60% growth year-over-year. These unique visits
produced over 50 million clicks on links to credit card application pages.15 As shown in Figure 1,
TPC sites accounted for about one-fifth of all general purpose credit card applications in 2016,
2.7 percentage points more than in 2015.16

13 Unique visits total considerably more than this at almost 1 billion, which represents growth of nearly 65% over 2015.

14 There are two forms of double-counting involved here. First, a given website may be unable to determine whether
visits from multiple IP addresses are from the same person using different devices. Second, our data aggregate
unique visitors across multiple websites without de-duping on the basis even of IP address. Even with these
limitations, however, we believe that the total number of U.S. consumers who have accessed TPC sites can
conservatively be estimated at more than 100 million.

15 Not all clicks on application links result in applications. TPC sites generally do not have visibility into whether
referrals to application pages actually result in completed applications. (As discussed further below, however, they
do know the total number of approvals by issuer and by product.) The absolute number of TPC site-sourced
applications reported by mass market issuers is substantially smaller than the number of click-throughs reported by
these sites. Even accounting for issuers not included in our survey, it is likely that many of these application clicks
do not convert into applications.

16 TPC sites generally feature few, if any, retail co-brand or private label cards from mass market issuers, and mass
market issuers reported almost no applications for such cards sourced from TPC sites. Some TPC sites do feature
private label cards issued by non-mass market issuers targeted at consumers with lower scores.

273 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 1: SHARE OF GENERAL PURPOSE CREDIT CARD APPLICATIONS SUBMITTED VIA TPC SITES
(MMI)

25%

20%

15%

10%

5%

0%
2015 2016
Superprime Prime Near-prime Subprime Deep subprime Overall

TPC sites are increasingly popular for consumers at all credit score tiers, but have become an
especially important application channel for consumers with subprime credit scores. As shown
in Figure 1, nearly 25% of applications for mass market general purpose cards from consumers
with subprime and deep subprime credit scores came via TPC sites in 2016.17

TPC sites garner applications from users of all ages, and we observe growth in TPC site
application share in every age cohort. Age-related application data are shown in Figure 2.
Consumers over 65 years of age are less likely than others to have their applications referred
directly by TPC sites. We observe little variation in TPC site use across other age groups.

17 These figures are a floor on TPC site effect, because consumers may use these sites to browse and compare, but only
later submit an application directly via the issuer’s website without clicking the site’s application link.

274 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 2: SHARE OF GENERAL PURPOSE CREDIT CARD APPLICATIONS SUBMITTED VIA TPC SITES
(MMI)

25%

20%

15%

10%

5%

0%
2015 2016
<21 21-34 35-64 65+ Overall

Given the number of applications that they source, TPC sites are increasingly important to
issuers as an acquisition channel. In 2016, mass market issuers approved more than 5 million
general purpose credit card applications sourced from TPC sites, which represents about 15% of
all mass market general purpose approvals for that year. This volume of TPC site-sourced
general purpose approvals represents a 24% increase over 2015 levels.18 By comparison, the total
number of all other approved general purpose applications for these same issuers increased only
3% over the same period.

As shown in Figure 3, TPC site-sourced approvals for mass market issuers are distributed across
credit tiers in opposite fashion to the distribution of the TPC site-sourced share of applications.
This reflects higher approval rates at higher credit tiers. Roughly three-fifths of TPC site-sourced
approval volume came from consumers with prime and superprime credit scores. That said,
near-prime and prime tiers experienced the largest growth in approvals from 2015 to 2016, even
as all tiers show growth in approved accounts over the period.

18 Our TPC site survey and our MMI survey reported comparable numbers of site-referred approvals. This fact was
true both in 2015 and 2016. As noted above, however, our MMI survey effectively covers TPC sites not included in
our TPC site survey, and our TPC site survey includes issuers not included in our MMI survey. It is likely, therefore,
that the total number of approved applications sourced from TPC sites is larger than either data source reports.

275 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 3: GENERAL PURPOSE CREDIT CARD APPROVALS FACILITATED BY TPC SITES (MMI)

1.6M

1.2M

0.8M

0.4M

0
2015 2016
Superprime Prime Near-prime Subprime Deep subprime

Compared to all other general purpose applications, approval rates for TPC site-sourced
applications are lower. This is not consistent across credit tiers. TPC site-sourced approval rates
are slightly lower for consumers within superprime, prime, and near-prime credit tiers, as well
as for scoreless consumers. But they are slightly higher for applications from consumers with
subprime or deep subprime credit scores. These data are shown in Figure 4.

FIGURE 4: APPROVAL RATES ON GENERAL PURPOSE CARDS, 2016 (MMI)

90%
80%
70%
60%
50%
40%
30%
20%
10%
0%
Superprime Prime Near-prime Subprime Deep No score Overall
subprime
TPC sites Other channels

The aggregate numbers shown in Figure 4 mask an intriguing phenomenon. When looking at
any single mass market issuer individually, the TPC site-sourced applications within a given
credit tier always have approval rates lower than applications from other channels. Nevertheless,

276 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
across all mass market issuers consumers in the two lowest credit score tiers overall have higher
approval rates when applying through TPC sites.19 This is because mass market issuers that
approve consumers with non-prime scores at higher rates receive a large share of non-prime
applications through TPC sites. This share is much larger than the share of applications they
receive from other channels. This suggests that TPC sites may be effective both at identifying
which cards consumers with lower scores are likelier to be approved for and at persuading
consumers to apply for those cards.20

TPC sites we surveyed reported almost $1 billion in payments from issuers for approvals
resulting from applications they referred to issuers in 2016. In 2013, the Bureau found that
financial service providers spent $17 billion on marketing annually.21 Financial service provider
spending on marketing has likely grown since that point, and it is difficult to determine what
share of that spending is on credit card marketing; those caveats notwithstanding, credit card
TPC sites likely represent a substantial share of not just all credit card marketing spend, but all
consumer financial product and service marketing spend.22

7.3 Consumer experience


This section describes the consumer experience of TPC sites, summarizing aspects of sites that
are visible to users. In other words, we seek to capture what a consumer sees when engaging

19 This is an example of what statisticians refer to as “Simpson’s paradox.”

20 Per our MMI data, applications sourced from more traditional forms of digital advertising do not show the same
pattern. That suggests that such advertisements may not be as effectively targeted to maximize a consumer’s odds of
approval.

21 Consumer Fin. Prot. Bureau, Navigating the Market: A Comparison of Spending on Financial Education and
Financial Marketing, at 17 (Nov. 18, 2013), available at http://files.consumerfinance.gov/f/‌201311_cfpb_
navigating-the-market-final.pdf.

22 The Bureau identified $2.1 billion of the $5.5 billion in “awareness” marketing as being credit card-centric, but was
unable to determine with confidence the share of the $12 billion in “direct” marketing spent on credit cards.

277 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
with a TPC site. Behind-the-scenes dynamics and factors are occasionally referenced, and are
discussed in greater detail in Section 7.4.

TPC sites frequently offer three types of content: comparison engines, which allow consumers to
compare financial products in response to consumer input; editorial content; and personal
financial management (“PFM”) tools. We discuss each type of content below using each of our
three sources of data, but primarily our own experiential review of TPC sites.

The range of content offered by TPC sites varies, and not all sites offer all three types of content.
As of this writing, however, most TPC sites, especially the largest ones, offer some combination
of all these services. That has not always been the case. In the earlier days of TPC sites, many
sites were solely comparison engines. Other sites began by offering primarily editorial content or
PFM tools, and later evolved into offering comparison engines as well. As noted earlier in this
section, it is only in the last couple of years that these models have to a substantial degree
converged. Regardless of whether they met TPC site criteria from inception or incorporated TPC
features later in their evolution, almost all major TPC sites that we reviewed now offer some
blend of all three of the aforementioned content types, with varying degrees of emphasis. If this
represents the emergence of a model that proves naturally dominant given current market
conditions, it may be a strong signal that this part of the credit card market is beginning to
mature.

7.3.1 Homepages and entry points


A consumer’s initial interaction with a TPC site may be at its “landing page” or “homepage.”
These pages generally communicate the breadth of the sites’ comparison services. They also seek
to establish a site’s brand by describing the site’s claimed consumer benefits. Larger sites that
also offer wider-ranging comparisons of other financial products (such as auto loans, student
loans, or mortgages) do not always display their credit card market comparison engine as
prominently as smaller, more targeted credit card TPC sites do.

TPC sites also have credit card-specific landing pages that are often linked to from a drop-down
menu or a link on the broader website homepage. TPC sites use their credit card landing pages
most frequently in three ways: highlighting products, featuring editorial content, or displaying
some version of their comparison engine. Some sites may do more than one of the above or a
combination of all three. Overall, the amount of information on each TPC site homepage varies
significantly.

278 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Many TPC sites highlight specific credit card products on their homepage, which sites select
based on a variety of criteria. Some use click-through rates or consumer satisfaction ratings to
measure a product’s popularity, displaying cards that consumers find interesting or report as
valuable. Others consider the degree to which issuers compensate the site for approvals. A less
common practice is to allow issuers to pay directly for placement on the homepage. Sites have
advertiser disclosures that may encompass homepage practices, but they do not expressly
address how cards are selected for the homepage.

Other TPC sites use their credit card landing page to display editorial content, often featuring
popular articles about credit card products or market dynamics. Highlighted subjects often
include travel rewards maximization or balance transfer use.

Almost all TPC sites’ credit card landing pages have a link to their comparison engines, and
many directly enter consumers into the comparison process. For these sites, the credit card
landing page is a starting point for a consumer to begin comparing products. Consumers may
either be prompted to input information, or have the option to select from a list of search
criteria such as cards with low interest, balance transfer options, or cashback rewards. If
consumers provide input, they are then routed to the comparison engine process, which we
explore in greater detail below.

Large TPC sites offering wider-ranging comparison products have several entry points to their
credit card-specific landing pages, and some even have multiple versions of their basic landing
pages. Homepages are not static. Several respondent sites report changing their homepages
frequently and, if they feature credit cards, cycling through different credit card products on
their homepages.

7.3.2 Comparison engines


At the heart of any third-party comparison site is the “comparison engine”—our term for the
dynamic and responsive portion of the website that allows consumers to compare credit cards
and, by our criteria, distinguishes TPC sites from other websites.

Not all consumers who visit a TPC site will necessarily encounter or use the engine. As we
discuss further below, TPC sites increasingly offer a diverse array of content and features to
consumers. Many of these are, from the perspective of the TPC sites, supplemental to the
comparison engine, the core offering that generates a substantial bulk of many sites’ revenue.
Note that these may not be supplemental to the consumer. For some site users, these may be the
primary draw.

279 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
SEARCH CRITERIA
Much of the comparison engine experience is centered on search criteria, a term we use to
describe the consumer characteristics or product features that sites allow consumers to enter or
select. Search criteria are described in more detail below, but frequently include key price points
such as APRs, rewards features, or the availability and price of other features, such as balance
transfers. Search criteria are instrumental to initiating the search process and TPC sites employ
them in several distinct ways.

Below, we begin by examining the ways sites can initiate searches based on the comparison
engine, then we discuss the two general categories of input on which most comparison engines
rely: first, card features and consumer goals; and second, credit scores.

Search initiation
Large, established TPC sites generally allow consumers to initiate the search process using the
three methods we describe below. Smaller sites generally only offer one of these methods. As we
discuss below, consumers can generally revise or refine the criteria iteratively to generate
refreshed results.

First, many TPC sites prompt a user to select from a pre-set list of search criteria to begin the
comparison process. The selection of a criterion then leads directly into the initial set of results.

Second, some TPC sites offer a more guided initiation process, prompting a consumer to
complete a broader questionnaire, often framed with a consultative tone, pertaining to their
credit card preferences and personal financial situation. A few of the questionnaires require a
consumer to create an account with the website in order to view the site’s comparison engine
results.

A final method is to present consumers with credit card recommendations for a default set of
search criteria prior to any consumer input. In such cases, once a consumer navigates to the
comparison engine, a TPC site will display cards meeting some search criterion, such as “low
APRs,” before the consumer expresses any preferences. A consumer can then provide input,
entering information from a series of options listed alongside the initial recommendations, and
the list of recommended products updates accordingly.

Card features and consumer goals


This category, the most common, includes the specific product features a consumer desires, or
the personal financial objectives a consumer wants to achieve with a credit card. Common
features or goals include cards with low purchase or promotional balance transfer APRs,

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cashback rewards, and travel rewards. Many sites also include broader groupings of product
features as search criterion, such as secured cards or cards for students. Certain categories of
features and goals appear frequently on TPC sites, suggesting their importance in the hierarchy
of TPC sites’ search criteria. In particular, rewards cards play a substantial role in most TPC site
comparison engines. Our respondent sites report that around 50% of approved applications are
for rewards products.

Many sites also offer a second tier of more granular goals beyond these high-level categories.
Consumers encounter these additional categories in the comparison engine results page,
generally after they have already initiated a search. These categories often include 0%
promotional rates on purchases or balance transfers, no foreign transaction fees, no annual fees,
guaranteed approval, or sign-up bonuses. Some TPC sites allow for a combination of these
subcategories as well as other more specific goals. For example, they might allow a consumer to
search for credit cards with low APRs, no annual fees, and no foreign transaction fees. Sites vary
significantly in their breakdown between large categories and additional categories of features
and goals.

Several TPC sites offer issuer or network preference as a subcategory, allowing a consumer to
select a specific card network or issuing financial institution. These criteria, while common, are
nevertheless offered on fewer sites than other aforementioned categories.

Credit score
The majority of sites allow consumers to provide credit score-related information as a search
criterion; they generally do so in one or both of two ways.

First, almost all sites allow a consumer to self-report their credit score by selecting from a site-
provided range. Sites that use this method present four or five score tiers, generally described in
colloquial terms such as “poor,” “fair,” “average,” and “excellent.” This approach allows a
consumer to self-report their rough credit score range as a search criterion without inputting
their personally identifiable information.

Second, several sites will procure a consumer’s credit score from a credit reporting agency if a
consumer provides consent and inputs certain personally identifiable information. Some sites
prompt users to input their information when initiating a search, especially when that initiation
takes the “questionnaire” form. (For example, some sites do this if consumers inform the site
that they are unaware of their score.) This approach does not allow consumers to use credit

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score information as a search criterion unless they input the personally identifiable information
necessary to procure a score from the credit reporting agency.

Procuring a consumer’s credit score is less common than the self-reported approach to credit
score information, though some sites offer consumers both methods. Sites that procure credit
score information may then use those scores as an input for generating comparison engine
results, as we discuss in more detail in Section 7.4.3 below. Sites that obtain credit scores for
consumers will often do so as part of a process of signing a consumer up as a site “member,”
eligible for a range of member-only services. We discuss membership further in Section 7.3.4
below.

Overall, there is substantial variability in the sophistication, complexity, and granularity of site
comparison criteria. As noted, some TPC sites allow a consumer to filter on multiple criteria,
tailoring their recommendations to reflect the consumer’s current credit score, goals, and
preferred credit card product information. Several sites, however, do not allow for multiple
criteria to be selected, limiting a consumer’s search criteria to credit score range and one type of
goal.

RESULTS
Once consumers have initiated the comparison process and selected their search criteria, TPC
sites display cards in response. The total number of cards a consumer is shown depends on the
number and variety of products in a particular site’s database and on the subsequent processes
for selecting which cards to present to the consumer. Some sites introduce results with text
highlighting the subcategory of consumer goals the user has selected. For example, a search for
cashback rewards cards might include a brief note about the consumer benefits of cashback
rewards.

Results are most often displayed in lists, though a few sites structure their output in tables or
grids. Sites that use lists display between five and ten cards on a desktop page, providing
additional pages of results that a consumer can manually access if the total number of results
exceeds the per-page limit. What ends up on the first page of results, or among the first few
results, may be of exceptional importance, as consumers incur ongoing costs in time and effort
to continue surfacing and examining options further down the list, or on second and subsequent
pages of results. It is also possible that some consumers assume that products atop the list are
deemed more suitable based on their personal inputs than lower-ordered products.

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Output display depends on the method used to start the comparison engine. If consumers use a
questionnaire to guide their results, the list of presented cards will only load once, applying all
filters. If consumers select a subcategory of consumer goals or jump into the default
recommendations and started personalizing their filters, the results may refresh after every filter
change. Most TPC sites allow consumers to change their earlier selected criteria and display
filters on the side of the results page, iteratively providing new results to match the changing
criteria.

Though sites display their recommendations vertically, the lists or tables generally are not
numbered. In that sense, a consumer does not receive an explicitly ranked list of recommended
cards. TPC sites’ internal considerations for displaying cards are explored in more detail below.

Some sites include one or more “featured” cards with their listed results. When this occurs, the
site uses the top one or two slots of its list or table for a card that, based on our review, fits the
consumer’s selected category. For example, if a consumer selects “no annual fee” as a search
criterion, the featured card, reflecting that input, will not have an annual fee. TPC sites that list
featured cards do not necessarily highlight a card in this manner for all search criteria.
Generally, only one or two featured cards are listed per category.

Although sites do not number lists, card “featuring” does formally differentiate cards in the list.
Some cards are “featured.” Others are not. Sites presenting featured cards denote them in
various ways, with the size and emphasis on the “featured” label varying significantly. Sites
generally do not define specifically what makes a card “featured” or indicate what information
this label should impart about a product. Beyond a site-wide advertiser policy disclosure, sites
that utilize featured cards generally do not include additional disclosures highlighting the site’s
commercial relationships with the issuers. We discuss disclosures in more detail in Section 7.3.5
below.

List or table content


When TPC sites results are presented, each credit card product receives a slot on the list or table
where, to varying degrees, its features are explained. Each site includes a unique combination of
details about the products, but two broad categories of content are pervasive—product-specific
details and site-specific metrics.

Product-specific details list the particulars of each credit card using common measures. These
usually include introductory purchase APR, the APR range disclosed by the issuer, rewards
details such as cashback percentage or spending-to-points conversion rates, and annual fee

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amounts. The vast majority of sites also include a picture of the credit card product, varying in
size.

Site-specific content consists of additional summaries or context provided by the TPC site. For
several sites, the results include some written summary of card benefits or bottom-line analysis
of the site’s opinion on the product. The summaries are generally no longer than two sentences.
Other sites provide summary-level information in a list of product pros and cons. A handful of
sites only list the positives of a product but do not detail any potential drawbacks. Some sites
also present the minimum credit level they believe is necessary to qualify for a card.

A few TPC sites also introduce novel measures of consumer benefit as a means of comparing
products. These measures include estimations of all-in rewards benefits based on consumer
spending, or of the true interest cost experienced by consumers. Site-specific content represents
an opportunity for the TPC sites to exercise editorial discretion.

Several TPC sites include ratings for cards in their results. The most common scale is from one
to five, usually denominated in “stars,” with these ratings usually based off of consumer reviews.
Fewer sites employ their own ratings scores, and those sites that do generally do not explain
how their rating was developed. Sites generally do not allow a consumer to filter or order results
based on user or site ratings. (To the best of our knowledge, most sites do not include ratings as
a factor in their ordering decision. Ordering is covered in more detail in Section 7.4.3 below.)
When a user rating is selected, the site generally links to a separate page or automatically scrolls
to an area of the page, usually in the bottom section, where consumers can post commentary
about the product, in a format similar to most online retail and service reviews. Some TPC sites
require a consumer to have a site-specific account to post reviews. Others leverage tools that
allow consumers to post by providing their pre-existing credentials to one of several major social
media platforms.

Some sites vary in what information they show for a particular card based on the search terms
used by the consumer. For example, the results for a consumer seeking balance transfer cards
may have a certain product’s balance transfer rate displayed, but that same information may not
be included if the card is produced in response to a different search, such as one for travel
rewards cards. However, within each set of results, information shown is generally consistent
from card-to-card, facilitating comparison.

Most sites have some type of “show more” option attached to each card’s display that, if clicked
by a consumer, provides more detailed information via a drop-down menu. This additional

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information can include more conventional product details and sometimes more site-specific
content. The detail mix between what is shown automatically and what is displayed in a drop-
down box varies by site. This drop down often includes the same information available in the
“Schumer box” required on credit card solicitations.

Many TPC sites also provide the same additional product information found in the drop-down
menus in a product-specific page that is accessed from the product description. These individual
card pages are frequently supplemented with the TPC site’s editorial team’s review of a product,
providing commentary on a credit card’s perceived strengths and weaknesses. Individual credit
card reviews are further discussed in Section 7.3.3.

Sites generally include application links for products.23 Links are often bolded and brightly
colored. Sites generally prompt the user with “Apply Now” language that directs to the issuer’s
application page. None of the TPC sites we reviewed allow the customers to fill out applications
on their own site—application links always led to issuer websites.

Additional content
Beyond listed outputs, some results pages include additional content with their comparison
engine result lists or tables. Several sites provide editorial content that either explores a
consumer’s selected search criteria or the credit card market more broadly. For example, if a
user has searched for travel rewards cards, a TPC site may list additional information about
travel rewards and offer advice regarding what the consumer should seek in rewards cards
generally. Other sites may list foundational information about responsible credit use or credit
scores. Sites that produce editorial articles often provide links to those articles on results pages.

Some type of disclosure appears in connection with the comparison engine results. The
disclosure varies in placement and prominence. Most frequently, the disclosure is a hyperlink
(with wording like “Ad disclosure”) placed near the top of the relevant webpage. Selecting that
link leads to a pop-up or to the bottom of the web page. In both cases, the site then states its
advertiser disclosure. We describe these and other disclosures in Section 7.3.5.

23At least one case has raised, but not resolved, the question of whether sites are entitled to include an issuer’s
trademarks and application links. See First Premier v. Odysseas Papadimitriou, No. 14-4055 (D.S.D. Jan. 7, 2015).

285 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
A few sites also provide an opportunity for consumers to engage with other site users via
comments and discussion threads. Posts on these threads can include product-specific questions
about a card’s features. Other consumers describe their personal financial circumstances and
goals and seek general advice on how to decide which card meets their needs. Some threads
concern broad, credit card market topics—for example, how does an issuer decide on a credit
limit? Questions are often addressed both by consumers who frequent the site and by site staff.

7.3.3 Editorial content


Many sites invest in editorial content, a decision that helps build their brand and drive traffic to
the site. As they grow over time, editorial libraries help differentiate larger TPC sites from less-
resourced competitors, and helps TPC sites compete for web traffic with non-TPC sites that offer
similar content. Editorial content ranges from lists highlighting “best of” cards, individual
product reviews, and broader explanations and explorations of financial products and concepts
covering the credit card market and beyond.

“BEST OF” LISTS


TPC sites produce one-off or recurring “best of” lists, recommending cards within various
categories or that meet certain criteria. Users will generally find these lists from a drop-down
menu at the top of a site’s homepage, though some sites also provide additional links to the
pages throughout the website. These lists link to issuer application sites, but differ from
comparison engine results in several ways. First, they are generally not dynamic in the way
comparison engines are; the selected cards on a given “best of” list rarely change. Some sites do
create dynamic “best of” lists in which the results refresh daily; in general, however, they refresh
less often than this. Second, unlike comparison engine lists or tables, these lists generally do not
allow users to select additional search criteria.

Many sites not only put forward a general “best credit cards” list but also narrower lists
highlighting certain credit cards for travel rewards, balance transfers, low interest rates, and
other search criteria categories. The number of lists created varies between sites. Some offer
only a handful of broad categories. Others offer more than ten lists spanning various criteria. As
with featured card information, sites do not always provide context to explain how these lists are
generated. Those that do so often limit their descriptions to boilerplate language that provides
the site’s guidelines for editorial independence.

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CREDIT CARD REVIEWS
Some sites also provide more detailed reviews of specific credit card products, particularly those
from mass market issuers that experience high volumes of TPC site-referred applications. Users
generally see these reviews by selecting a credit card in the comparison list or table that then
links to an additional page where the site’s full editorial review is published. Other sites provide
pieces of their editorial review in the “show more” drop down in a product’s comparison list
entry. Review length varies by site, from a few paragraphs to several times that length.

Sites generally note that individual credit card reviews contain opinions representing the site
and not the issuer. This information is frequently found either in a header or footer to the article
or in the site’s editorial disclosure.

These reviews are more qualitative and subjective than product information displayed on
comparison engine results, or even “best of” lists. Most sites provide both “pros” and “cons” of a
product, though some sites do not list any negatives for products. These reviews also
occasionally provide direct comparisons to similarly-structured cards from other issuers; much
more common is the practice of providing several “related” cards for user consideration. At this
point, we have only limited knowledge of how these cards are selected.

Consumers can generally leave their own reviews and comments on these pages. When
comments exist, some sites will lay out guidelines for appropriate content.

FINANCIAL EDUCATION MATERIALS


Beyond reviews of individual products and highlighted lists, many TPC sites also produce
content exploring and explaining other financial topics, both in the credit card market and
beyond. Much of this content examines how certain products operate and the situations in
which a consumer might wish to use them. For example, a TPC site might publish an article
about how cashback credit cards work. This content is generally written in plain language. For
several sites, these articles go beyond direct credit card issues to include topics that intersect
with personal finance more generally, such as how depository banking works, factors to consider
in obtaining a mortgage, and how to pay off domestic debt while living abroad.

In addition, some TPC sites have started publishing more detailed studies, assessments, and
surveys of the credit card market or various other market segments, expanding into forms of
editorial content that convey more rigor and depth, and generally exploring more technical
detail than readers would generally find from mass market publication or non-specialists. These

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studies include commissioned consumer surveys, in-depth analysis of various sources of public
data, or interviews with market experts, often in conjunction with major press outlets or
industry media partners. While we cannot comment on the average quality or rigor of such
materials, the Bureau has found several such studies useful. Some are cited for specific points in
this report.

“Best of” lists and individual product reviews have a specific point of contrast with comparison
engine results. When sites ask for and receive information from consumers about their
preferences and financial situations, they tend to avoid explicitly responding that a certain
product is the best product for the inputting consumer. In editorial content, however, they often
express which products they think are best in general. This contrast may be linked to the
potential risks associated with presenting comparison search results that are driven in part
(both in content and in ordering) by issuer compensation, which we discuss in more detail in
Sections 7.4.1 through 7.4.4.

7.3.4 Credit score access and other member services


In addition to offering content to all site users, some—mostly larger—TPC sites offer additional
functionality to site “members.” Membership is generally free-of-cost to the consumer, though
some sites also offer some premium content which is only accessible to consumers who pay
some fee.

To obtain access to member services, TPC sites request that a consenting consumer create an
account by inputting personal information, including personally identifiable information.
Specific fields vary by site. Some sites permit memberships based only on name and email.
Others require more extensive inputs, such as the consumer’s social security number. Generally,
consumers must input name, email address, date of birth, a password, and the last four digits of
their social security number. Exactly when sites ask for which fields varies. Some sites require
consumers to input their social security number before accessing any member services. Others
only require social security numbers for specific services. When personally identifiable
information is requested, sites request consumers’ consent to the use of that information. Sites
almost always have language reassuring a consumer of their cybersecurity efforts.

The most common member service offered by TPC sites is a free credit score. Several TPC sites
began providing consumers free access to a credit score before issuers generally adopted similar
practices. In fact, several prominent TPC sites began life as sites primarily oriented around this

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feature, and only fully developed credit card comparison engines as they grew and evolved.
Providing a free score—and some additional credit report-related information—is now standard
for all large, established TPC sites, and for some smaller players as well.24 Sites most frequently
offer monthly updates, though several offer weekly reports, and at least one site we examined
advertises a daily report. To our knowledge, all TPC sites we examined that offered free credit
scores used the VantageScore 3.0 model. As noted above, some sites then use credit scores in
generating comparison engine results. The provision of free credit scores by credit card issuers
is discussed at greater length in Section 5.2.

Beyond free access to this credit score information, TPC sites offer a variety of personal financial
management (“PFM”) tools. These services use financial data about the consumer’s accounts to
track finances, credit use, and overall financial health. PFM tools vary across sites. Several sites
offer a credit score simulator that lets consumers estimate how different financial events (such
as a hard credit check, an increase in overall credit limit, an increase or decrease in the
consumer’s debt-to-credit ratio, or a missed payment) would likely affect their overall score.
Payment calculators help consumers understand the full costs of borrowing on different types of
credit cards over time. For those consumers specifically focusing on refinancing credit card debt,
several TPC sites host balance transfer calculators, allowing users to model and compare how
the various balance transfer fees and APRs affect the total amount paid under different offers.

Several sites offer services commonly powered by data aggregators. These allow users to track
their spending habits and set up alerts for certain kinds of account activity. To enable this, TPC
sites need consumer-permissioned access to transaction data only available from a consumer’s
transaction accounts.

Almost all TPC sites have explanatory information about PFM tools. Most often, the sites
explain these services in broad overview, highlighting ways consumers may benefit and
providing reassurances on internal safeguards to protect personally identifiable information.

24Public reports note that the practice of TPC sites in offering free credit scores exerted a degree of pressure on other
market participants to do the same. See AnnaMaria Andriotis, FICO, Experian Join Forces to Expand Free Credit
Scores, Wall St. J. Blog (Mar. 8, 2017), available at https://blogs.wsj.com/moneybeat/2017/03/08/fico-experian-
join-forces-to-expand-free-credit-scores.

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Several sites, however, go far beyond simple explanations, providing lengthy articles detailing
what a credit score is, how it is created, and what factors contribute to its creation and change.
These TPC sites clarify exactly which credit score is offered, explaining that their credit score is
not identical to the score issuers may use in their underwriting models.

7.3.5 Disclosures
All TPC sites contain some form of general advertiser disclosure.25 The content of this disclosure
varies by site. The most common way this disclosure is made available is via a hyperlink in the
header of certain pages reading, e.g., “advertiser disclosure” or “ad disclosure.” When selected,
this either causes the browser to leap directly to disclosure text at the bottom of the page, or it
generates a pop-out box containing disclosure text. These links are usually placed in prominent
positions on the page, but are also often in smaller font than other material. Some sites do write
out their disclosure in full at the top of certain pages instead of providing a link. Disclosure
display practices can also vary within a site, with a single site displaying different disclosure
styles on different pages.

Sites generally display their advertiser disclosure, or its hyperlink, on all comparison engine
pages. Within a comparison engine page, most sites do not break out any additional disclosures.
Featured cards, as described above, do not generally have a unique disclosure.

Advertiser disclosure content shows little variation across the sites we surveyed. Site disclosures
generally include an acknowledgement that the site is compensated by issuers, and note that
decisions regarding how, where, and in what order credit card offers are displayed on the site
may be influenced by commercial relationships between the site and issuers. Sites also state they

25We have not reviewed the sufficiency of any disclosure under applicable federal law. That legal question is not the
subject of this review, and the discussion below is not an opinion or official position of the Bureau on any
compliance issue. We note, however, that relevant legal authority here may include certain FTC guidance. See, e.g.,
Press Release, Federal Trade Commission, FTC Consumer Protection Staff Updates Agency's Guidance to Search
Engine Industry on the Need to Distinguish Between Advertisements and Search Results (June 25, 2013),
available at https://www.ftc.gov/news-events/press-releases/2013/06/ftc-consumer-protection-staff-updates-
agencys-guidance-search.

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are not displaying the “entire universe” of credit card offers available on the market for
comparison, but they do not further explicate this point.

Sites generally do not go as far as noting which issuers compensate them for approvals and
which do not. There are exceptions. At least one site labels all products that earn per-approval
compensation for the site as “sponsored.” To see what “sponsored” means, the user needs to
click through to the product where the advertising disclosure is available. It is not available
directly from the list of comparison engine results. Another site uses its disclosure to list all
issuers that compensate it for approvals, which are all the issuers covered by the site’s
comparison engine. It does not say whether all of these issuers’ products entail compensation.

Some sites use as few as three or four sentences to cover their advertiser disclosure. Others use
ten or more sentences. Some sites also feature a plain language disclosure that communicates
essentially the same content as the more formal disclosure but in a more readable format.
Several sites disparage their more formal disclosures—“The lawyers made us do it!”—even as
they include them.

Sites with editorial content sometimes have disclosures that are specific to that content. Some of
these state that product reviews are not influenced by compensation arrangements with issuers.
Others state that the products they review may be chosen based on compensation or at the
request of an issuer, but that the content of that review is still independent. Sites do not go into
detail as to how they wall off editorial teams. Some sites do not have a separate editorial
disclosure, electing to cover this information in their general advertiser disclosure. More
information on editorial independence is provided in Section 7.4.4.

7.3.6 Branding
Consumers will experience a TPC site’s brand at virtually every stage of using the site. Often, a
homepage will offer a statement of the site’s value proposition. Sites then build out their brand
through content in their comparison engines, editorial content, and sometimes even their
disclosures. They include phrases, sentences, and short paragraphs throughout each type of
page that signal to the user how the site wishes to be perceived.

Most TPC sites explicitly brand themselves as a helpful resource for consumers. Comparison
engines are described not only as a means of helping the consumer compare cards but as tools to
help “find the right card for you.” Common language includes phrases describing how a site can

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“help you today” to “achieve your financial goals” and “master” various financial concepts. This
kind of aspirational language is common throughout the consumer experience that TPC sites
offer. In particular, member-only services and PFM tools are heavily used as a branding tool for
larger, established TPC sites. Sites highlight the collection of tools available to users as part of a
holistic experience that will help a consumer “take control” of their financial life. TPC sites
offering personal financial management tools brand themselves as go-to resources for personal
financial advice and assistance.

Whether these branding efforts create consumer expectations that are not fully matched by
some of the revenue practices of sites remains an important open question. We explore revenue
and other “behind the scenes” dynamics in the next section.

7.4 Behind the scenes


This section summarizes some of the practices and policies of TPC sites that are less visible to
consumers but that help to shape the consumer experience of these sites. First, we discuss the
core revenue model that TPC sites use. Then we describe how sites select, present, and order
cards shown to consumers, and how revenue models play a role in these practices. We note
which practices are more consistent across sites and which are more variable. This section
generally relies on market data submitted by industry participants, but also on additional
market monitoring work.

7.4.1 Revenue agreements and models


TPC sites have revenue agreements with a number of issuers. These agreements lay out the
terms of issuer compensation to sites. The agreements are often facilitated by a third-party
“affiliate network” that, for some sites, manages a master agreement setting terms and
conditions. A handful of large affiliate marketing companies perform this role for issuers in
other markets as well. They serve as the administrators of the contract and facilitate changes to
the agreement as they may arise. Some TPC sites employ multiple affiliate networks to manage
their numerous relationships with issuers.

TPC sites earn virtually all their revenue from two distinct channels. The main source of site
income is payment by credit card issuers in exchange for approved applications sourced from

292 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
the site. The second main source is revenue from self-evident advertisements—like banner ads—
on the site.26 We discuss each source of revenue in turn.

Approved applications produce the bulk of revenue for TPC sites. Sites within the scope of our
survey reported nearly $1 billion in revenue from this source in 2016. Sites generally are paid
under one of two per-approval fee structures: flat rate and tiered volume. The most common
compensation arrangement is a flat rate per-approval. The dollar amount varies for different
credit card products, but our review of site practices shows per-approval compensation rates
ranging from below $100 to above $300 in 2016. Certain card types that generate more revenue
for issuers—such as higher-value rewards cards—pay more per-approval. Arrangements can be
and are updated to reflect evolving approval trends for specific products.

Tiered volume structures are less common. Respondent sites report that less than one-quarter of
their compensation deals have tiered volume structures, while others report only using a
handful of such arrangements. Tiered volume arrangements increase a product’s per-approval
fee after certain volume thresholds are met. For example, approvals past a certain threshold
might earn some multiple of approvals below that threshold. TPC sites report that issuers agree
to tiered revenue agreements when they are trying to drive a product’s volume. Popular cards
may not need tiered agreements if an issuer is satisfied with the volume of approvals. These
agreements also vary widely, both in terms of the fee per-approval and the applicable
thresholds, depending on the popularity of the card and web traffic of the TPC sites.

Per-approval fees are the primary source of TPC site revenue. Our survey respondent report that
they do not receive any additional flat-fee or lump-sum compensation besides per-approval fees,
and other Bureau market monitoring information strongly suggests that this is a broadly

26In drawing this distinction, we do not express any legal view about whether or not card listings generated by a
comparison engine in which card issuer payments play a role also count as advertising. In addition, we are not
stating that such listings are not in certain respects functionally similar or identical to standard advertising material.
We mean only that items like banner ads are self-evidently advertising, whereas there is a more open question about
how listings are perceived by the consumer. (To take an obvious example of this difference, listings are accompanied
by a very specific form of advertiser disclosure. Banner ads may simply note that they are advertising.)

293 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
prevalent practice for comparison engines and the results they generate.27 The per-approval fee,
as we discuss further below, can and does alter the order or featuring of cards on at least some
TPC sites. Product ordering is more fully explored below in Section 7.4.3.

It is worth noting that per-approval revenue arrangements clearly create an incentive for TPC
sites to put cards in front of consumers for which they are likely to be approved. As we discuss
below, however, specific payment structures between issuers and TPC sites provide a wide array
of incentives to these sites.

Issuers may prefer consumers to come directly to their own websites or through other direct
acquisition channels, but they currently appear willing to pay significant amounts for TPC site-
sourced applications. Respondent sites report that issuer revenue from approvals increased 49%
from 2015 to 2016, outpacing the 24% growth in the number approved accounts sourced by
those TPC sites. Respondent sites have confirmed that this difference means that per-approval
compensation rates have been increasing, although a shift to higher compensation products may
also play a role. (Approval rates did not increase over the same period.) Sites believe that
increased rates may reflect several factors, including competition for millennial consumers and
consumers who use high-value rewards cards. It may also reflect a shift in bargaining power as
some sites increase in size.28 To this point, our monitoring indicates that other revenue streams
are very much secondary to per-approval fees. Respondent sites say as much. Our direct market
survey found banner advertisements to be quite rare for large, established sites. In fact, these
sites tend to use the spaces traditionally used for banner advertising to promote editorial
content on the site, content that presumably reinforces the brand and thereby helps drive the
perceived value of the comparison engine. Several smaller TPC sites, however, do appear to use
banner or pop-up advertising more frequently.

27At least one site does accept an additional flat fee from issuers for inclusion on “special offers” pages while another
site accepts additional payments for a product’s inclusion on the home page.

28At least one issuer has claimed that the rising cost of revenue agreements with TPC sites could eventually affect the
total cost of credit to consumers. See Discover Comment Letter, at 4-5. One industry earnings call has also surfaced
the possibility of issuers cutting back the usage of such sites because of increased acquisition costs. See Discover
Financial Services, Q1 2017 Results – Earnings Call Transcript, (Apr. 23, 2017), available at https://seekingalpha.‌
com‌/‌article/4065279-discover-financial-services-dfs-q1-2017-results-earnings-call-transcript?part=single.

294 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
7.4.2 Product selection
Each TPC site maintains a database of credit cards from which it pulls comparison engine
results in list or tabular form. Respondent sites report maintaining databases that include from
200 to 1,200 credit card products, and our broader survey of TPC sites found that many sites
assert their database size falls somewhere in this range. (Our qualitative review, however,
suggests that some sites may have markedly fewer cards to draw on for presentment and
ordering to consumers.) TPC sites have some branding incentive to enter into agreements with
issuers that will cover the market broadly. Larger, more established sites report employing staff
to identify and list products that would not otherwise be on the site. Smaller, more targeted TPC
sites may not have the capacity or incentive to expand their underlying database of products to
the same degree.

Respondent sites have financial relationships with many mass market issuers. Given the heavy
concentration of the consumer credit card market, TPC site revenue depends on including
products from a core set of large issuers. If issuers that have a revenue relationship with sites
come out with new products or make changes to terms and conditions, sites will update their
databases accordingly. It is worth noting, however, that at least some large issuers appear to be
largely absent from these sites.

The criteria that TPC sites use to decide which products are included in their databases are fairly
subjective. Most respondent sites state that they seek offers that provide consumer benefit but
do not explain how that assessment is made. Some sites note they vet an issuer’s ability to track
activity associated with commissions, though they also note that this is not a mandatory feature
for database inclusion. Sites will reach out to issuers with whom they have no relationship.
Respondent sites report vetting new products and issuers for possible inclusion as a source of
revenue. Nevertheless, respondent sites report that they include products in their databases
even in the absence of a compensation agreement with the issuer of those products. Some sites
with larger databases report that as few as 10% of the products in the databases are subject to
per-approval or other fee arrangements. In addition, as we discuss further below, there are good
reasons to expect that the share of compensated products in underlying databases will be
significantly lower than the share of compensated applications.

Based on our broader qualitative review, including of results presented on comparison engine
result lists, many TPC site databases do not comprehensively cover the breadth of products in
the credit card market. While we do not have insight into which cards are in a site’s database but

295 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
are not presented to consumers, comparison engine results for several sites yielded fewer cards
than one would expect based on search criteria. As noted above, sites also appear not to include
cards from certain larger issuers.

Sites report that issuers may occasionally request the removal of a credit card from all site
content because the issuer has received too many applications. When this occurs, the parties
attempt to negotiate a solution. One possible outcome is that the site continues to include the
product, but the issuer at least temporarily curtails compensation for additional approvals.

7.4.3 Product presentation and ordering


TPC sites have to choose which cards their comparison engines will present to consumers in list
or tabular form. For a given card, this is a binary decision. The product is either in the presented
list or it is not. At this point, we have limited information from sites about this presentment
step. Observation suggests that this process may be relatively mechanical. It is possible,
however, that revenue may also play a role.29

Once cards have been selected to present to consumers in a comparison engine, they must be
ordered for that presentment. Some cards will not be visible at all unless the user scrolls down
through one or more results pages. Even those few cards that are visible without scrolling must
be presented in some order.

TPC sites employ proprietary algorithms to order cards in comparison engine results. Each site
has built a unique algorithm. These algorithms vary in which factors they consider, the weights
these factors are given, and the complexity of the factors and the algorithm as a whole. Several

29At least for sites with relatively detailed search criteria, cards on the list do appear to be responsive to the stated
criteria. If a consumer selects cashback rewards as a relevant search criterion, most sites will restrict the products
presented to cards with cashback rewards. (We are not able to tell, however, whether the sites list all such cards that
are in the database.) In addition, testing shows that the number of cards listed varies by search on a given site,
which again suggests that the contents of the list presented to the consumer may be driven by the search criteria.
Some sites, however, have less specific search or filtering criteria so it is hard to assess how directly responsive the
set of presented cards is to the requested search. That raises the possibility that other factors, such as revenue, may
play a role in choosing which cards to present.

296 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
respondent sites report employing unique algorithms for different searches. A comparison list of
balance transfer cards will not weigh the same criteria as a cashback rewards card list.

Although we are still early in our analysis, our review to this point indicates that sites employ
four main inputs to their algorithms. Each site may use several of these inputs and may weigh
them in a range of different ways. Note that TPC site business models “behind the scenes” may
vary more widely than their similar or overlapping upfront appearance to consumers would
suggest. Even as the general consumer experience appears to be converging for these sites, the
algorithms they use show considerable variation.

The first input considered by some sites is per-approval revenue. As noted earlier, respondent
sites do not generally consider any additional payment streams for ordering or placement on a
comparison engine list. It appears that issuers cannot directly pay a la carte for higher
placement on a list of cards or to be the “featured card” at the front of the list. This revenue
structure likely creates a degree of competition for issuers to structure higher compensation
agreements with TPC sites if they want their products to receive a higher placement, including
“featured” status. While this practice is common, not all respondent sites consider compensation
in their ordering.30 In addition, some sites do not consider per-approval revenue when ordering
products to members that provide personalized information, even as they do consider it when
ordering products to other users.

A second input used by some sites is some assessment of quantitative consumer benefit. Several
sites construct a range of quantitative metrics for these purposes, such as estimated dollar
values of rewards credit cards or of balance transfer cost savings. Sites that employ these
measures often prompt individuals with questions to help personalize estimates of consumer

30It is unclear why issuers would compensate a site that does not consider per-approval revenue in its ordering
decisions, at least so far as the site does not otherwise charge for being included in product presentation. Any
individual issuer may benefit from the site’s existence because it generates applications that lead to approvals. In
fact, issuers may collectively benefit from the site’s existence for this reason, and realize costs should the site fail.
But if per-approval revenue plays no role in ordering, no one issuer has an incentive to pay compensation. If all
issuers “free ride” on others, the site would lose its revenue stream completely. Clearly, in practice this has not
occurred, suggesting other countervailing factors must be at work. We note the point here to indicate the ongoing
nature of our efforts to understand the dynamics of this emerging space.

297 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
benefit. For example, a site may ask a consumer how long they plan to have a card and common
spending volume to estimate their interest costs.

A third input is the likelihood that a consumer will be approved for a product. Sites may attempt
to recreate an issuer’s approval criteria, using an iterative process based on which consumers
they refer are actually approved for specific products.

A fourth input is card popularity. There are two broad approaches here. Sites that adjust search
results based on member profiles may take account of the individual member’s usage of the site
over time to discern what products and searches are popular with that consumer. Other sites
may assess popularity by looking to metrics based on general usage of the site by a wider group
of consumers, focusing on factors like click-through rates, approval rates, and average time
spent viewing a page.

These inputs are not exhaustive. For example, some sites will boost products with time-sensitive
offers or will reweigh cards to reflect seasonal interest in different aspects of a card, such as
travel rewards during summer vacation months. If a user is a site member, some TPC sites will
use a consumer’s member profile to inform one or more of the inputs above. For example, a site
may use a member’s credit score to assess the likelihood the consumer will be approved for
certain cards. Or a site may use member data to adjust estimates of consumer benefit,
presenting consumers with a more in-depth analysis of their financial outcome with a card. (One
TPC site will ask several additional qualitative questions about a consumer’s finances and
product preferences and present a shorter list of two or three cards for a consumer to consider.)

Respondent TPC sites state that, in general, any one input, including financial considerations,
will not negate other inputs to the algorithm. Some sites primarily seem to rely on only one non-
revenue factor while others appear to balance several more equally. At this point, however, our
understanding of the relative weighting for different inputs to these algorithms remains limited.

Ordering is not just unavoidable. It is also valuable for TPC sites and issuers. Available data
suggest that ordering is a major factor in driving consumer application volume. We asked TPC
sites what share of their approved applications, and what share of their overall revenue, came
from the five card products that accounted for the most approvals in a given year. For 2016,
respondent sites reported that, in aggregate, these top-five products comprised 52% of all the
approvals that they sourced in a given year, and 46% of their overall credit card-related revenue.
Our market monitoring suggests that at least some of these products were the same across sites,
and that many of those products were associated with the most lucrative issuer commissions. If

298 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
a small number of products play a dominant role in approvals and site compensation, this
suggests sites may be ordering products in such a way that consumers are at least in part nudged
or persuaded to apply for these products.

Using per-approval revenue as a factor in ordering cards may create a mismatch with consumer
expectations given that sites are branded, implicitly and explicitly, as helping consumers to
identify products based on their needs, interests, and inputs.31 Site disclosures may help
mitigate this problem.

Non-revenue inputs may raise similar issues. Because consumers do not always have full
information on what assumptions a site algorithm is making on their behalf, they may not be
able to interpret ordering in a consistent manner. To take just one hypothetical, two sites may
offer the same consumer a list of the same five cards in dramatically different order even though
the consumer used the same search criteria on both sites. That may be because one site
prioritizes some measure of consumer benefit, while the other prioritizes the likelihood of
approval.

7.4.4 Editorial independence


TPC sites derive substantial value from their editorial content. It generates traffic; it generates
positive, brand-enhancing press; and in some cases can directly boost revenue, if pages
including such content include banner ads or links to apply for products that will result in
compensation. Editorial content, however, often contains explicit judgments about the relative
superiority of certain products, at least for certain types of consumers.

Respondent TPC sites employ teams tasked specifically with producing editorial content. These
sites all state that they maintain institutional separation between their revenue-producing units,
which manage the site-issuer financial relationships, and their editorial teams, which write
reviews and create editorial content. This practice appears to be standard, at least for larger,

31 At least one issuer has expressed concern that consumers may view TPC sites as “independent watchdogs,” and,
disclosures notwithstanding, fail to understand the monetary relationship between issuers and sites. See Discover
Comment Letter, at 4-5.

299 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
more established sites. Most TPC sites we surveyed state that they do not consider monetization
when producing their editorial content. As noted earlier, however, what a site considers editorial
content varies.

7.5 Future developments


The dynamics that have led to the emergence and growth of TPC sites may continue over the
coming years. We expect that such sites will continue to play a prominent role in the market,
with the caveat that the same technological innovations that produced these sites could easily
produce compelling competitors or as yet unforeseen alternatives to their model. More
generally, new digital tools and intermediaries are clearly having a major effect on the credit
card market, among other consumer financial markets, and that effect is unlikely to diminish
going forward. We plan to continue our monitoring of trends and developments in this part of
the credit card market.

300 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
8. Credit card debt collection
When consumers fail to make contractually required payments on their credit cards, they may
become subject to debt collection activity. Debt collection is vital to an efficient credit market,
but it can also present significant risks to consumers. From January 1, 2015, through December
31, 2016, the Bureau handled over 170,000 debt collection complaints. Approximately one in
eight debt collection complaints identified a credit card as the source of the debt. In addition to
evidence of harm from consumer complaints, the Bureau’s enforcement and supervision
activities have also cited areas where consumers may be harmed by practices of credit card debt
collectors.1

In exercising its market monitoring authority, the Bureau surveyed a number of large credit card
issuers in order to better understand current practices and trends, as well as to identify changes
to internal policies in the credit card debt collection and recovery arena. The resulting data are
part of the Mass Market Issuer (“MMI”) dataset. These MMI data cover a variety of subjects
spanning the entire life cycle of delinquent debt, both before and after charge-off.

To put our survey results in context, we first define various terms that are regularly used to
describe debt collection practices in the credit card market. Next, we place the consumer credit
card debt collection market in the context of the overall market for consumer debt collection.
We then describe the range of current core practices that may be used in credit card debt
collection and recovery before laying out additional findings from our survey.

1 See, e.g., Press Release, Consumer Fin. Prot. Bureau, CFPB Orders Citibank to Provide Relief to Consumers for
Illegal Debt Sales and Collection Practices (Feb. 23, 2016), available at https://www.consumerfinance.gov/about-
us/newsroom/cfpb-orders-citibank-to-provide-relief-to-consumers-for-illegal-debt-sales-and-collection-practices;
see also Consumer Fin. Prot. Bureau, Supervisory Highlights, Issue No. 12 Summer 2016, (June 2016), available at
https://www.consumerfinance.gov/data-research/research-reports/supervisory-highlights-issue-no-12-summer-
2016.

301 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
8.1 Definitions
The following debt collection terms are commonly used in the industry currently. The following
definitions do not reflect any Bureau interpretations with respect to any statute or regulation.

DELINQUENCY
A consumer credit card account may be considered “delinquent” once the consumer has failed to
make all or part of at least one obligated payment on that debt by the due date.2 The collection
industry tends to classify delinquent accounts based on the length of the delinquency. For credit
cards, the typical time periods used are billing cycles or equivalent multiples of 30 days.

CHARGE-OFF
When credit card accounts become 180 days delinquent, Federal guidance generally requires
issuers to declare them as losses.3 Lenders may also choose or be required to declare an account
as a loss before that point for other reasons. (For example, the account holder dies or declares
bankruptcy.) These loans are termed “charged off.” Charge-off does not absolve the consumer of
the obligation to repay the amount owed. Nor does it limit issuers in their ability to pursue
repayment. Instead, it requires the issuer to account for the debt as a loss rather than as a
receivable. However, it may affect how or whether the issuer chooses to pursue repayment.
Across accounts, rates of charge-off are most often expressed as a share of the balances on all
accounts in a given group. The effect of charge-offs on issuers’ recovery efforts is discussed in
Section 8.4.3.

COLLECTION AND RECOVERY


Both “collection” and “recovery” are terms used to describe the spectrum of practices applied by
issuers and their agents to secure repayment of debt. The distinction between the two terms is

2 Credit card agreements typically use the term “default,” which is defined the same as “delinquent” here.

3 See Office of the Comptroller of the Currency, Uniform Retail Credit Classification and Account Management
Policy, OCC Bulletin 2000-20, (June 20, 2000), available at http://www.occ.gov/news-issuances/bulletins/‌
2000/bulletin-2000-20.html.

302 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
not always clear and may depend on context. For the purposes of this report only, efforts to
secure payments prior to charge-off are “collections,” and steps taken after charge-off are
“recovery.”

FIRST- AND THIRD-PARTY COLLECTION AND RECOVERY


Issuers often make the first efforts to collect on debts themselves, either through their own in-
house collectors or other parties collecting in the name of the issuer. Industry participants
generally refer to firms other than the issuer engaged in such activities as “first-party collectors.”
If efforts by the issuer or first-party collector are unsuccessful, creditors often engage a firm to
try to recover on the debt in the collector’s own name rather than in the name of the issuer.
Firms engaged in such activities generally are known in the industry as “third-party collectors.”
These firms could be collection agencies or collection attorneys. Before or after engaging a third-
party collector to try to collect on a debt, creditors sometimes sell the debt to another type of
firm generally known in the industry as a “debt buyer” that will either try to collect on the debt
itself, engage a third-party debt collector, or resell the debt to another debt buyer.

8.2 Debt collection markets


8.2.1 Overall
Most large credit card issuers use their own employees and resources to collect some portion of
debt from their delinquent accounts. Creditors, including credit card issuers, employ nearly
300,000 employees as bill and account collectors.4 Many creditors also engage third parties to
collect debts on their behalf or sell uncollected debts to third-party debt buyers, which then
collect the debts internally or through a third party. Debt collection industry revenue has been
declining steadily in recent years, falling from about $13.3 billion in 2012 to $11.4 billion in

4 See Bureau of Labor Statistics, Occupational Employment and Wages, May 2016: 43-3011 Bill and Account
Collectors, (2016), available at https://www.bls.gov/oes/current/oes433011.htm.

303 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
2016.5 The third-party debt collection industry employs just under 125,000 workers, which
represents an overall reduction of nearly 10,000 jobs in the past two years.6 The number of debt
collection firms has also continued to decline as the result of industry consolidation, largely
driven by a need to create economies of scale to generate greater efficiency and wider profit
margins.7

FIGURE 1: DEBT COLLECTION INDUSTRY SHRINKAGE BY ENTERPRISES AND ESTABLISHMENTS, 2007-


2016 (IBISWORLD)8

11,000

10,500

10,000

9,500

9,000

8,500

8,000
2007 2008 2009 2010 2011 2012 2013 2014 2015 2016
Establishments Enterprises

According to a survey conducted by the Bureau between December 2014 and March 2015,
roughly 32% of consumers with a credit record had been contacted by a debt collector or

5 See Edward Rivera, Debt Collection Agencies in the US, IBISWorld (Dec. 2016).

6 Id.

7 Id.

8 “Enterprises” refers to the number of debt collection businesses in operation. Each enterprise may have multiple
locations, which explains why “establishments” is a larger figure.

304 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
creditor about a past due debt in the preceding year.9 Among Americans with a credit file, just
over 21% have a debt collection “trade line” on their report.10 Such debt may be reported by
creditors or by third-party debt collectors. None of the surveyed issuers allow third-party
collection agencies to report to credit reporting agencies and instead reserve credit reporting as
function to be carried out internally by the issuer.

The total number of consumers with accounts in collection may be undercounted based on
consumer credit reports because many collection accounts for rent, utilities, retail, and other
debts are not reported to the three large credit reporting agencies.11 In addition, because many
lenders report on the status of loans, including delinquent loans, these delinquencies may not
appear as “collections” trade lines. According to the Bureau’s Consumer Credit Panel (“CCP”)
data, collection trade lines can range from less than $25 to more than $125,000, with an average
balance of $1,507 for consumers with at least one collection trade line. While many of these
consumers will be subject to active collection attempts by a debt collector, some consumers may
not experience any contact from a debt collector and thus may be unaware that they have debts
in collections until they access their credit reports or are contacted by a debt collector.12

Figure 2 breaks down the $11.4 billion in third-party debt collection revenue by type of debt.
According to industry analysis, financial services debt, which includes credit card debt,
constitutes the largest single share of revenue, 34.5%, to third-party debt collectors.

9 Consumer Fin. Prot. Bureau, Consumer Experiences with Debt Collection: Findings from the CFPB’s Survey on
Consumer Views on Debt, (Jan. 2017), available at https://www.consumerfinance.gov/data-research/research-
reports/consumer-experiences-debt-collection-findings-cfpbs-survey-consumer-views-debt.

10 A collection “trade line” is a term used to describe an account that appears on a consumer’s credit report as an
account in collection.

11 See Consumer Fin. Prot. Bureau, Key Dimensions and Processes in the U.S. Credit Reporting System: A Review of
How the Nation’s Largest Credit Bureaus Manage Consumer Data, (Dec. 2012), available at
https://www.consumer‌finance.gov/‌data-research/research-reports/key-dimensions-and-processes-in-the-u-s-
credit-reporting-system.

12 See Press Release, Consumer Fin. Prot. Bureau, CFPB Considers Debt Collection Rules (Nov. 6, 2013), available at
http://www.consumerfinance.gov/newsroom/cfpb-considers-debt-collection-rules.

305 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 2: DEBT COLLECTION MARKET SEGMENTS BY SHARE OF REVENUE, 2016 (IBISWORLD)

Financial services

Telecommunications

Other

Healthcare

Retail and commercial

Government

0% 10% 20% 30% 40%

8.2.2 Credit card


As the fourth-largest source of consumer indebtedness, most of which is unsecured, credit card
debt is a key driver of revenue and activity in the debt collection industry.13 At any given
moment, examining the rate of credit card charge-offs against the size of outstanding revolving
consumer debt can shed light on recent and emerging trends in the market for credit card debt
collection.

As shown in Section 2.6.2, the net credit card charge-off rate for all commercial banks rose from
3.8% in the second quarter of 2015 to 4.9% in the second quarter of 2017. Charge-off rates
declined from an all-time high of 16.3% in 2010 to 4.3% in 2016. Similarly, in the second quarter
of 2015, the “30+” delinquency rate, which represents the share of outstanding credit card
balances 30 or more days delinquent,14 was 2.1% across all commercial banks.15 That is the

13 Not all credit card debt is unsecured; we discuss secured credit cards in more detail in Section 6.

14 Note that this measure is not the same as the measure of “severe” delinquency we rely on in Sections 2 and 6; that
measure counts delinquencies as severe only when they are 60 or more days in length.

306 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
lowest level since the Federal Reserve Board began tracking this metric in 1991. As of the second
quarter of 2017, it has risen to nearly 2.5%.16 High charge-off rates in 2009 and 2010 produced a
substantial stock of credit card debt potentially subject to future collection activity—even as the
flow of new debt into the system was declining.

Although revolving consumer credit balances have grown substantially since the recession, the
amount of debt sold by card issuers has decreased. Debt sold by credit card issuers declined
from $68.2 billion in 2007 to $18.9 billion in 2013.17 Currently, fewer than half of the major
credit card issuers we surveyed sell debt. Among those that sold debt in 2015 and 2016, total
debt sales were approximately $8.3 billion and $8.9 billion respectively. We discuss our survey
findings regarding credit card debt sales in more detail in Section 8.4.5 below.

In August 2014, the Office of the Comptroller of the Currency (“OCC”) issued a bulletin outlining
supervisory expectations for structuring debt-sale arrangements in a manner that is consistent
with safety and soundness and that promotes fair treatment of customers.18 The OCC provided
guidance regarding the types of debt that could be sold, made suggestions regarding account
information that should be made available to buyers, and highlighted potential risks generated
by debt sales. Around the same time the OCC was developing its guidance, the Federal Trade
Commission (“FTC”) and the Bureau were discussing consumer data in debt collection, with
particular regard to the debt buying industry.19

15 Board of Governors of the Federal Reserve System, Charge-Off and Delinquency Rates on Loans and Leases at
Commercial Banks (1985 to 2017), https://www.federalreserve.gov/releases/chargeoff/chgallsa.htm (last updated
Nov. 20, 2017).

16 Id.

17 See HSN Consultants, Inc., The Nilson Report, Issue 901, 7 (Apr. 2008); see also HSN Consultants, Inc., The Nilson
Report, Issue 1041, 5 (May 2014), available at http://www.nilsonreport.com/publication_newsletter_archive.php.

18 See Office of the Comptroller of the Currency, Consumer Debt Sales - Risk Management Guidance, OCC Bulletin
2014-37, (Aug. 4, 2014), available at http://www.occ.gov/news-issuances/bulletins/2014/bulletin-2014-37.html.

19 See Federal Reserve Bank of Philadelphia, Understanding the Model: The Life Cycle of a Debt, (June 6, 2013),
available at http://www.ftc.gov/sites/default/files/documents/public_events/life-debt-data-integrity-debt-
collection/understandingthemodel.pdf (presented at the FTC-CFPB Roundtable); see also Federal Trade

307 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
8.3 Debt collection and recovery practices
As previously noted, creditors may implement a variety of tactics and strategies to recover a debt
that a consumer has failed to pay according to agreed-upon terms. Creditors may use their own
in-house collectors as well as first- or third-party debt collectors. This section describes
collection and recovery activities generally.

8.3.1 Internal collection and recovery

IN-HOUSE COLLECTION AND RECOVERY


After charge-off, issuers may continue attempts to collect internally without contracting a third
party. An issuer’s internal collection and recovery efforts may include such methods as calling
and sending letters to the consumer. Many issuers contact consumers via email at this phase,
and a few also send text messages to delinquent consumers.

There are certain advantages to issuers from using in-house collection and recovery. To the
extent that the borrower repays the debt, the issuer will receive the payment without having to
pay a collection agency, contract with a law firm, or sell the debt at a discount. The issuer also
maintains a higher degree of control over its in-house collection and recovery activities than it
would if it outsourced these functions. There is also a cost to the issuer for building and
maintaining this capability. Depending on the circumstances, legal responsibility for violations
may lie with the issuer as well as with the third-party service provider.20

Commission, The Structure and Practices of the Debt Buying Industry, (Jan. 2013), available at
https://www.ftc.gov/sites/default/files/documents/public_events/life-debt-data-integrity-debt-
collection/debtbuyingreport.pdf (presented at the FTC-CFPB Roundtable) ; see Press Release, Federal Trade
Commission, Life of a Debt: Integrity in Debt Collection (June 6, 2013), available at http://www.ftc.gov/news-
events/events-calendar/2013/06/life-debt-data-integrity-debt-collection.

20 See Consumer Fin. Prot. Bureau, Compliance Bulletin and Policy Guidance; 2016-02, Service Providers, (Oct. 31,
2016), available at https://www.consumerfinance.gov/documents/1385/102016_cfpb_‌
OfficialGuidanceServiceProviderBulletin.pdf.

308 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIRST-PARTY COLLECTION AND RECOVERY
As described above, creditors often make initial efforts to collect on debts themselves, either
through in-house collectors or others working under the name of the creditor. First-party
collection and recovery can be as simple as mailing the consumer a reminder to pay a bill or
placing a phone call a few days into delinquency. First-party agencies are typically paid on a
“per-full-time-employee” (“FTE”) basis, while third-party agencies are typically paid on a
contingency basis, keeping a percentage of whatever dollars they collect and remitting the
difference to the creditor.

8.3.2 Third-party contingency collection and recovery


As an alternative to internal collection and recovery, an issuer may turn to a third-party agency
to collect in the agency’s own name. Contingency agency compensation is a function of the
amount collected on a debt. Using third-party contingency agencies is the most common method
for recovering charged-off credit card accounts. Just over half of the broader debt collection
industry’s revenue is generated by collection companies operating under the contingency
collections model.21

The most common tactic used by third-party agencies is to contact debtors by phone and mail to
remind them that a debt is owed and ask them to repay. Third-party contingency agencies are
generally assigned debt for a specified duration of time, which may range from several weeks to
several years.22 During this period, they may contract with attorneys to litigate against the
consumer to recover outstanding debts.

If the company cannot collect during the specified time period, its agreement with creditors
generally requires that any uncollected accounts be returned to the current creditor. The

21 See Edward Rivera, Debt Collection Agencies in the US, IBISWorld (Dec. 2016). The following products and
services account for the remaining revenue generated the Debt Collection Industry: portfolio acquisition (32.0%),
fixed-fee servicing (5.9%), collateral recovery and repossession services (3.6%), and other (4.0%).

22 See Consumer Fin. Prot. Bureau, Consumer Experiences with Debt Collection: Findings from the CFPB’s Survey of
Consumer Views on Debt, (Jan. 2017), available at https://www.consumerfinance.gov/data-research/research-
reports/consumer-experiences-debt-collection-findings-cfpbs-survey-consumer-views-debt.

309 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
creditor may then contract the accounts out to a different company. This process creates what
are known in the industry as “tiers” of debt placements based on the number of contingency
companies that have attempted to collect on a given account. At first placement, an account is
called “primary.” At second placement, it is “secondary.” At third placement, it is “tertiary.” At
fourth placement, it is “quaternary.” The length of a placement is determined by the creditor,
and placement periods tend to lengthen as debt ages.

Expected repayment decreases steadily and substantially as an account ages and passes through
increasing numbers of tier placements.23 Each failed attempt to collect is predictive of a lower
likelihood that the consumer in question will repay. Consequently, the contingency fee received
by the debt collector generally increases with a debt’s age. Contingency fees are the most
common fee structure, but third-party collectors utilize other fee structures, such as a fixed fee
per account worked, wherein revenue is not contingent on recovery. Collectors are also often
given authority by issuers or creditors to offer consumers a larger discount in negotiating a
settlement of older debt.

Issuers may use more than one collector, which results in competition in the collection market.
Issuers may engage multiple agencies concurrently in what is called a “champion-challenger”
model, placing different accounts within the same tier with different collectors. Issuers give the
most accounts to a “champion” agency that has demonstrated the best collection record to date
through some combination of its collection performance, compliance practices, and consumer
satisfaction. The other agencies, or “challengers,” attempt to outperform the champion in order
to receive a larger share of the issuer’s future collection business.24

8.3.3 Litigation
Some issuers sue consumers to compel repayment. In deciding whether to initiate litigation,
issuers or creditors typically review a wide variety of sources, including internal account records,

23 See 2015 Report, at 243-247.

24 Id.

310 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
credit reports, and public records to assess their chance of collection.25 Issuers generally
consider the cost of litigating, which may make litigation a less viable approach for smaller
amounts of debt. Issuers often weigh a wide range of factors in evaluating the costs and benefits
of filing a suit, including reputational risk, state-specific filing costs, and consumers’ ability to
repay. Issuers may engage a network of internal or external attorneys in their litigation strategy.
Collection litigation comprises a significant share of state court activity. The National Center for
State Courts reported that debt collection actions constitute nearly a quarter of all civil cases in
state courts.26 Along similar lines, the Bureau’s Arbitration Study found that in one jurisdiction,
all but one out of 2,245 claims filed in 2012 by the ten largest credit card companies in small
claims court were debt collection claims against consumers.27

8.3.4 Debt sales


An issuer may also elect to sell debt. Large-scale sale of charged-off debt began with the savings
and loan crisis of the late 1980s.28 It grew alongside the increase in consumer use of revolving
debt, primarily credit cards, over the subsequent decades.

“Debt buyers” purchase accounts at a discount on the face value of the debt owed. The discount
is largely determined by the age of the debt but can also be influenced by the status of the
account, such as a contractual charge-off, bankruptcy, or accounts with requests to cease

25 Id.

26 Hannah E.M. Lieberman & Paula Hannaford-Agor, Trends in State Courts: Special Focus on Family Law and
Court Communications, National Center for State Courts, (2016), available at http://www.ncsc.org/~/
media/Microsites/Files/Trends%202016/Meeting-the-Challenges.ashx.

27 Consumer Fin. Prot. Bureau, Arbitration Study: Report to Congress, Pursuant to Dodd-Frank Wall Street Reform
and Consumer Protection Act § 1028(a), Section 7, at 9 (Mar. 2015), available at http://files.consumerfinance.gov
/f/‌201503_cfpb_arbitration-study-report-to-congress-2015.pdf.

28 See Federal Trade Commission, The Structure and Practices of the Debt Buying Industry, (Jan. 2013), available at
https://www.ftc.gov/reports/structure-practices-debt-buying-industry.

311 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
communications.29 By selling debt, issuers benefit from immediate cash in place of delayed and
uncertain repayment and the costs of accounting for and servicing the accounts. As owners of
the debt, buyers keep everything they collect internally, but also assume all risks of collection.

8.3.5 Warehousing
Issuers may cease all attempts to collect on certain debts. In general, issuers warehouse
accounts when the probability of collection is outweighed by the expected cost of collection or
risk of legal infraction. Depending on the issuer’s business model, an issuer may decide to sell
such accounts rather than warehouse them. Some debt, such as decedent accounts, is
warehoused because it is unlikely to be repaid. Issuers may also warehouse time-barred debt,
which is debt that has aged beyond the applicable statute of limitations. Issuers reported that
they tend not to sell or litigate such time-barred debt.

8.4 Survey findings


8.4.1 Collections prior to charge-off
We begin with a review of surveyed issuers’ policies, procedures, and practices with respect to
resolving delinquent debt prior to charge-off. The issuers provided information regarding
restrictions on contacting consumers, technology and software used as part of their collection
strategies, use of first-party collectors, and the engagement of third-party collectors for
collection activities prior to charge-off.30

29 Consumer Fin. Prot. Bureau, Consumer Experiences with Debt Collection: Findings from the CFPB’s Survey of
Consumer Views on Debt, (Jan. 2017), available at https://www.consumerfinance.gov/data-research/research-
reports/consumer-experiences-debt-collection-findings-cfpbs-survey-consumer-views-debt.

30 Most issuers use proprietary case management software for their internal collections. Issuers rely on a small
number of vendors for their dialer software and hardware, mainly Avaya and Aspect dialers.

312 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
IN-HOUSE COLLECTIONS
All respondents conducted some collections activity in-house prior to charge-off. Issuers also
established policies that define the frequency with which their collectors can call, text, leave
voicemails, email, and otherwise contact a customer with regard to a delinquent account. We
provide greater specificity on the ranges of issuer limits on consumer contact and average
attempts in Table 1 below. In general, issuers’ actual average contact attempts tended to fall well
below policy maximums.

All issuers in our survey enforced daily caps per account on phone calls. Daily contact attempt
limits ranged from three calls to as many as 15 per account. While the high end of this range
remained unchanged from the 2015 survey responses, some issuers reported lowering their daily
limits within the past two years.

No issuer allowed calls to continue within a given day once “right party contact” has been made.
Right party contact occurs when the issuer or collector is able to reach and speak with the
consumer the issuer believes is responsible for the debt via telephone. Right party contact rates
typically fell between 3% and 7% for in-house and first-party collections and between 0.5% and
2.0% for third-party collections over a three month period.31 In general, issuers’ average daily
number of contact attempts via telephone fell between 1.5 and 3.5.

Only one of the issuers surveyed set a weekly cap on telephone calls, which was 17 calls per
week. Without a weekly cap, a consumer could potentially be called anywhere from 21 to 105
times per account in a given week. A few issuers set monthly caps, in addition to daily or weekly
caps, which ranged from 50 to 90 calls per month.

31 The right party contact rate is defined as the number of times live contact with primary or joint account holder or
power of attorney of the debt was made during the quarter (numerator) divided by the number of dialer attempts
made in the quarter (denominator).

313 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
TABLE 1: RANGES OF CONSUMER CONTACT POLICY LIMITS AND ACTUAL AVERAGE ATTEMPTS

Phone Mobile Postal


Policy limit or Phone Emails
calls after Voicemails text letters
actual calls per
right party per day messages per
attempts per day month
contact per month month
No
3 to 15 additional 1 to 2 per 2 to 5 2 to 4
2 to 3 per
Policy limit per calls on phone per per
account
account contact number account account
date
0.006 0.07 to
1.49 to 0.002 to
Actual average 0 per 0.05 to 0.83 to 0.3 0.19
3.51 per 0.05 per
attempts32 account per account per per
account account
account account

The majority of issuers restricted the number of voicemails that can be left for a consumer each
day, and among those that do so, nearly all allowed no more than one voicemail per day. Nearly
all of the issuers surveyed also used email as a part of their credit card collection strategy.
Conversely, less than one-third of issuers surveyed sent mobile text messages to communicate
with delinquent consumers.

All surveyed credit card issuers had the capacity to accommodate some consumers with Limited
English Proficiency (“LEP”) or those who express the desire to communicate in a language other
than English. Some issuers had a special unit of multilingual collectors to communicate with
these consumers in their preferred language. Those without a special unit outsourced their
translation services. Among those that tracked consumer language preferences, the overall
average share of pre-charge-off delinquent balances owed by consumers that expressed a
preference for a language other than English was 3.5% in 2016.

32 Average attempts via the telephone channel were defined as the number of calls made to all accounts that were
called divided by the number of unique delinquent accounts that were called in a given period of time. For all other
channels, average contact attempts were defined as the number of contact attempts made through that channel
divided by the total number of unique delinquent accounts that were contacted via any channel of communication
during a given time frame. The time frames were daily, weekly, or monthly, depending on common practices in that
channel.

314 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIRST-PARTY COLLECTIONS
The majority of issuers supplemented the activities of their in-house agents with the resources of
first-party collectors. Nearly all of the issuers that use first-party collectors prior to charge-off
noted that they do not “place” specific accounts with first-party agencies. Instead, they allocated
work between in-house and first-party collectors throughout a given day. Therefore, if available
resources have shifted, a single consumer account could be handled by both in-house and first-
party agents within the same week, day, or hour.

A majority of the issuers surveyed required that first-party agents place, receive, and document
calls to consumers using the issuer’s own case management system and dialers. In general, first-
party collection agents were contractually bound to abide by the issuers’ consumer contact limit
policies.

From 2015 to 2017, the surveyed issuers increased the total number of unique first-party
agencies by 36% to 15 total agencies. Those issuers that used first-party agencies used three
different agencies on average. Overall, the issuers exhibited a shift toward collecting more
accounts internally rather than outsourcing to third-party agencies.

First-party collection companies were typically paid on a FTE basis. Therefore, compensation to
first-party agencies was derived from the number of FTEs from each agency that the issuer used
per month on their collection team. In addition, several issuers offered additional monetary
incentives tied to first-party agent performance. These ad hoc incentive programs were typically
designed to reward performance against set financial goals as well as adherence to issuer
procedures.

THIRD-PARTY CONTINGENCY COLLECTIONS


More than half of the surveyed issuers worked with third-party contingency collectors prior to
charge-off, which remained the same compared to our 2015 survey. The share of accounts
placed with third-party agencies varied among issuers, but some placed a significant proportion
of pre-charge-off accounts with third-party contingency companies. In 2015, about 8.3% of
delinquent accounts were placed with third-party agencies prior to charge-off across all issuers.

315 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
By 2016, this proportion had declined to 7.9%. The number of unique collection agencies used
across issuers remained steady between 2015 and 2017, with 30 unique agencies in 2015 and 31
in 2017.33 The average number of third-party agencies used by each issuer was seven in 2015 and
eight in 2017.34

Agency compensation
Most issuers that contracted with third-party agencies paid a contingency fee based on the
amount of debt collected. These fees ranged from 6.4% to 24% in 2015 and 7.2% to 24% in 2016.
Survey responses indicated that the variation is attributable to the risk profile of the accounts
being placed, with highly collectible accounts commanding lower fees than accounts with a high
risk of being difficult to collect. Among those issuers that used third-party agencies, a small
number paid pre-charge-off third-party servicers on an FTE basis, with most paying a
contingency fee for collection of pre-charge-off accounts.

Liquidation rates
The amount collected relative to the delinquent balance is known as the liquidation rate or
cumulative recovery rate. Issuers often attempted in-house or first-party collections in the early
stages of delinquency, and only began placing accounts with third-party contingency collectors
after 60 or 90 days of delinquency. Alternatively, several issuers assigned particularly high-risk
accounts or those with special circumstances to third-party agencies, such as those accounts
where the consumers were engaging with debt settlement firms, the accountholder was
deceased, or bankruptcy applications were pending at any stage of pre-charge-off delinquency.
As a result, average liquidation rates, as seen in Figure 3, tended to be significantly lower for
third-party agencies than for internal collectors.

33 These numbers were driven by one outlying issuer, which doubled the number of third-party collectors it used from
six in 2015 to 12 in 2017. Without the outlying issuer, the number of unique third-party collection agencies used
across the surveyed issuers was 24 in 2015 and 18 in 2017.

34 Without the outlying issuer, the number of third-party collection agencies used by each surveyed issuer was eight in
2015 and seven in 2017.

316 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 3: AVERAGE QUARTERLY LIQUIDATION RATES FOR INTERNAL AND THIRD-PARTY
COLLECTIONS, 2015-201635

20%

15%

10%

5%

0%
2015 2016
Internal Third-party

8.4.2 Loss mitigation and re-aging


Credit card account management strategies included the use of various loss mitigation practices,
including re-aging, short- and long-term forbearance programs, debt settlement, and debt
management plans offered by consumer credit counseling agencies. OCC Bulletins 2000-20 and
2003-1 provide guidance on the use of these collections tools.36

RE-AGING
Re-aging returns a delinquent, open-end credit card account to current status without collecting
the total amount of principal, interest, and fees that are contractually due. A re-age can occur in

35 The quarterly liquidation rate is defined as total pre-charge-off delinquent dollars collected in a given quarter as a
percent of total pre-charge-off delinquent dollars in that same quarter. These quarterly rates are averaged for each
issuer for each year. Then, an unweighted yearly average was calculated for each year across all issuers.

36 See generally Office of the Comptroller of the Currency, Uniform Retail Credit Classification and Account
Management Policy: Policy Implementation, OCC Bulletin 2000-20, (June 20, 2000), available at
http://www.occ.gov/news-issuances/bulletins/2000/bulletin-2000-20.html; Office of the Comptroller of the
Currency, Credit Card Lending: Account Management and Loss Allowance Guidance, OCC Bulletin 2003-1, (Jan.
8, 2003), available at https://occ.gov/news-issuances/bulletins/2003/bulletin-2003-1.html.

317 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
collections departments, as well as in customer service departments. Re-ages are often
performed by collections departments to assist customers who have temporary cash flow issues.

Per OCC Bulletin 2000-20, banks can re-age open-end accounts when a borrower makes at least
three consecutive minimum monthly payments or an equivalent amount in a lump-sum
payment.37 The Federal Financial Institutions Examination Council policy described in the OCC
Bulletin provides that an account must be on the books for at least nine months to be eligible for
re-aging. Additionally, the number of re-ages on an account is limited to one in 12 months and
two in five years. Issuers we surveyed reported that they followed the OCC guidance with respect
to re-age programs.

While the re-age trend for the issuers we surveyed followed a quarterly seasonal pattern, re-aged
balances as a percent of total delinquent dollars remained below 2% for each quarter during the
survey period. However, there was considerable variation among the card issuers in terms of the
re-age balances. The quarterly average ranged from as low as 0.6% of total delinquent dollars to
a maximum of 4.5%. Average re-aged balance was $660 million per quarter, with an uptick
noted in the fourth quarter of 2016 due to the recent increase in credit card delinquencies.

FORBEARANCE PROGRAMS
Forbearance programs are designed to assist borrowers with prolonged financial hardship.
These programs can be “temporary” or “short-term,” which can last up to 12 months when the
account reverts back to its original terms, or “permanent” or “long-term,” where the account is
closed permanently and the balance is fully amortized over a period that is not to exceed 60
months. Issuers generally assess and document the reason, severity, and duration of the
cardholder’s financial difficulty when placing them in a forbearance program. If a significant
number of borrowers are placed in a temporary hardship program when their financial
problems are long-term in nature, it may mask the true condition of the portfolio.

37 See Office of the Comptroller of the Currency, Uniform Retail Credit Classification and Account Management
Policy: Policy Implementation, OCC Bulletin 2000-20, (June 20, 2000), available at http://www.occ.gov/news-
issuances/bulletins/2000/bulletin-2000-20.html.

318 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Most issuers offered one or more of these payment programs, typically consisting of a fixed
payment amount over a specified period of time, and often at a reduced interest rate. New
enrollments in forbearance programs and debt management plans (“DMPs”) offered by credit
counselors, discussed in greater detail later in this section, remained relatively flat at 2% of total
delinquent dollars. In terms of absolute dollars, approximately $875 million was enrolled in
each quarter. New enrollment rates among the individual issuers ranged from low of 0.6% to a
high of 5.3%. Forbearance inventory showed a 30% reduction from the first quarter of 2015 to
the first quarter of 2016. Over that same period, forbearance inventory declined by $1 billion
overall.

Survey results showed that many issuers have discontinued offering short-term hardship
programs. Issuers that did not offer short-term programs evaluated customers with short-term
financial hardship and offered them long-term programs as an alternative.

FIGURE 4: QUARTERLY FORBEARANCE ENROLLMENT AND INVENTORY AS A PERCENT OF


DELINQUENT BALANCES (MMI)

15%

12%

9%

6%

3%

0%
Q1 2015 Q2 2015 Q3 2015 Q4 2015 Q1 2016 Q2 2016 Q3 2016 Q4 2016
Enrollment Inventory

DEBT SETTLEMENT
Debt settlement programs are those in which an issuer agrees to accept less than the full balance
owed by the borrower as full satisfaction of the balance owed. Generally, pre-charge-off loans
are settled with a single lump-sum payment or multiple installments. The installments typically
consist of three payments, but the total duration is not to exceed 90 days. The portion of the
balance that is forgiven should generally be charged off when the settlement agreement is

319 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
fulfilled.38 These guidelines do not apply to post-charge-off settlements, which can be structured
over any length of time.

8.4.3 Recovery following charge-off


Once an account charges off, it is placed into one of a variety of channels. Accounts may be
placed multiple times in different channels depending upon recovery performance within each
channel. Across the respondents, nearly $28 billion in debt charged off in 2016, an increase of
$3 billion from the amount that charged off in 2015. While over two-fifths of the debt that
charged off in 2015 or 2016 was placed with third-party collectors and approximately 22% was
placed in internal recovery, there was substantial variation in issuer practices with respect to
litigation, debt sale, and warehousing. In general, the survey found that:

 the majority of issuers used third-party agencies throughout the entire review period;39

 the majority of issuers engaged in internal recovery;

 the majority of issuers engaged in post-charge-off litigation;

 the minority of the issuers sold debt; and

 all issuers warehoused a portion of their account balances. 40

38 See Office of the Comptroller of the Currency, Uniform Retail Credit Classification and Account Management
Policy: Policy Implementation, OCC Bulletin 2000-20, (June 20, 2000), available at http://www.occ.gov/news-
issuances/bulletins/2000/bulletin-2000-20.html; Office of the Comptroller of the Currency, Credit Card Lending:
Account Management and Loss Allowance Guidance, OCC Bulletin 2003-1, (Jan. 8, 2003), available at
https://occ.gov/news-issuances/bulletins/2003/bulletin-2003-1.html.

39 One issuer recalled all accounts placed with contingency collectors and worked the accounts in-house in the review
period from the first quarter of 2015 through the fourth quarter of 2016.

40 Warehoused balances include accounts issuers considered to be uncollectible or unlikely to be repaid.

320 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
FIGURE 5: SHARE OF CHARGED-OFF BALANCES BY RECOVERY CHANNEL IN 2015 AND 2016 (MMI)41

Third-party

Warehousing

Internal

Sale

Litigation

0% 10% 20% 30% 40% 50% 60% 70%

Figure 5 provides an overview of the post-charge-off placement strategy for the major credit
card issuers across the five main recovery channels. Issuers that used third-party agencies
generally placed the largest share of their charged-off balances with such agencies, but
placement distribution ranged from more than 29% to nearly 70% of an issuer’s debt that
charged off in 2015 or 2016. The range of internal recovery was more varied, with a minimum of
0.6% and a maximum of 65% across the issuers that used in-house or first-party recovery
strategies.

Below we describe our findings relating to internal and third-party recovery in detail. Section
8.4.4 explores issuers’ litigation strategy for both pre- and post-charge-off, and Section 8.4.5
provides a full description of debt sale practices.

41 Green bars represent the average share of charged-off balances in each of the five recovery channels. The issuers
provided the status of balances that charged off at any point in 2015 as of the end of 2015, and likewise for 2016. For
example, if an account charged off in March 2015, was placed with a third-party collector in April 2015, and was
recalled to be worked in-house in October 2015, the issuer would report the balance in the internal recovery channel
for 2015. The distributions for 2015 and 2016 were averaged by issuer, and then averaged across issuers. Black lines
running through each bar represent the range of the share of charged-off balances only for issuers that used that
channel. In other words, the ranges do not include zero values, even though some issuers did not use that particular
channel. The minimum value of the black bar for warehousing is 0.003%.

321 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
INTERNAL RECOVERY
Issuers may pursue internal recovery efforts directly after charge-off, or they may first place
accounts with third-party contingency agencies. Depending on the issuer’s overall placement
strategy and the performance of individual accounts, a single account may be placed and
recalled multiple times. A minority of the issuers used internal recovery as a significant piece of
their overall recovery strategy, while the majority generally retained accounts that were
ineligible for third-party placement, uncollectable, or awaiting placement in another channel.
While on average about 16% of an issuer’s debt that charged off in 2015 or 2016 was pursued
through internal recovery, one issuer chose to retain and internally recover more than 65% of its
debt that charged off in 2015 or 2016.

Comparison testing
Some issuers benchmarked internal recovery performance against that of third-party collectors
in order to establish recovery standards or to determine debt sale prices. At least one issuer
engaged in champion-challenger testing, where an issuer maintains a control group of accounts
and compares its recovery performance to a test group placed in the third-party network.

Statutes of limitations
Most surveyed issuers report that they do not pursue accounts that have exceeded an applicable
statute of limitation, which is the limited period of time that creditors and debt collectors have
to file a lawsuit to recover a debt. In most states, a statute of limitations generally does not bar
other collection attempts. Statutes of limitations vary across states. The statute of limitations is
determined by state law, and can vary from three to 15 years depending on the state. Only one
issuer reported that they attempt to recover debt from accounts on which the statutes of
limitations has expired.

THIRD-PARTY RECOVERY
The majority of issuers employed third-party contingency agencies to recover post-charge-off
debt. Most surveyed issuers placed between a third and a half of their charged-off balances from
2015 and 2016 with third-party collectors. One issuer did not place any charged-off debt with
third-party contingency companies for a portion of the review period, while one issuer placed
more than half of its balances that charged off in 2015 and 2016 externally.

Third-party networks
Since 2015, most issuers have decreased the size of their post-charge-off third-party vendor
networks, which include both contingency agencies and law firms. The overall number of
vendors used by issuers decreased by 17.3%, from 127 in 2015 to 105 in 2017. Of the issuers that

322 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
downsized their networks, the maximum reduction was by 43.5% and the minimum reduction
by 9.1%. In 2017, all but one of the issuers’ post-charge-off networks consisted of at least nine
third-party vendors. Between 2015 and 2017, the largest single network employed by any issuer
we surveyed included 71 separate companies. No single vendor was used by all issuers, but two
were used by the majority.

Contingency fees
All issuers that used third-party collectors paid a contingency fee based on the amount of debt
collected. Unlike third-party placement prior to charge-off, third-party placement post-charge-
off occurs in cascading tiers. Contingency fees are based on the level of placement, ranging from
15% to 27% for primary placement to 30% to 53% for tertiary placement in 2016. Many issuers
had higher contingency fees for tertiary placement than quaternary placement. Contingency fees
for quaternary placement were 38% on average in 2016, while contingency fees for tertiary
placement were 39% on average in the same year.

Vendor management
Issuers manage the compliance and performance of their third-party vendors using a variety of
methods. Most issuers had specialized business units dedicated to auditing, testing, and
evaluating third parties.

Regarding compliance, all issuers have limits on consumer contact attempts that they extend to
their third-party contingency companies and monitor through quality assurance testing, routine
audits, call sampling. The limits were very similar to those in pre-charge-off, ranging from three
to 15 calls per account per day.

Surveyed issuers closely followed their third-party networks’ recovery performance in order to
determine compensation rates, contract renewals, and, for issuers that sold debt, debt sale
prices. Liquidation rates, discussed in detail below, often played a significant role in recovery
performance evaluations, as they measure a vendor’s ability to collect charged-off balances. A
minority of issuers offered incentives beyond the contingency fees discussed above in order to
incentivize agents to reach liquidation rate and gross collection targets.

Liquidation rates
Recovery on charged-off debt can occur over several months or years. As described in Section
8.3.2, creditors contract with third-party agencies to pursue a portfolio of accounts for a certain
amount of time. If an agency cannot recover money on an account in the specified period or the
consumer stops paying, the creditor will usually transfer the account to a different agency.
Depending on the issuer’s recovery strategy, the issuer may sell the account or recall it and work

323 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
it internally rather than place with another agency. As an account moves from one agency to
another, the amount of money the issuer expects to recover from that account decreases. The
amount recovered relative to the balance charged off is known as the liquidation rate or
cumulative recovery rate.

The age of a debt is often the single largest determinant of its liquidation rate. Other factors that
affect liquidation rates include the scope and nature of pre-charge-off collection activity and the
composition of the issuers’ debt portfolios. Background conditions that change from year to
year, including macroeconomic factors, underwriting standards, and many others, can also be
determinants of these rates.42

Figure 6 shows the average liquidation rates for the balances of new tier placements between the
first quarter of 2015 and the fourth quarter of 2016. It also shows the average rates for internal
recovery. To calculate the liquidation rates for each quarter, issuers identified the set of
portfolios it placed in each of the tiers in a quarter. Issuers then calculated the liquidation rates
on each set of portfolios by dividing the amount of money recovered as of March 2017,
regardless of its subsequent tier placement or recovery channel, by the balance at placement.
The liquidation rates for each tier were averaged across the issuers by quarter.

A longer period of recovery activity is associated with a higher liquidation rate. For example, the
data for the first quarter of 2016 suggest that, in the course of a year, issuers expect to recover
between 8% and 10% of the face value of debt in its primary placement. The parallel 2015 data
suggest that with another year of recovery activity, they can expect to recover an additional 2%
of the face value. Compared to the liquidation rates reported in our previous survey, issuers can
expect to collect 5% to 10% less of the face value of debt in its primary placement over two years
than they anticipated in 2015.

Within a quarter, fresh or recently charged-off debt has a higher liquidation rate than older
debt. Taking the first quarter 2016 as an example, issuers reported that they recover nearly 7%
more of the face value of a debt in its primary placement than in its quaternary placement. Debt

42 2015 Report, at 255 n.26.

324 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
in internal recovery had higher liquidation rates than debt placed with third-party agencies.
That quarter, internally-recovered debt yielded an additional 1.3% on average compared to debt
in its primary placement.

FIGURE 6: AVERAGE LIQUIDATION RATES OF NEW TIER PLACEMENTS PER QUARTER AS OF MARCH
2017 (MMI)43

12%

8%

4%

0%
Q1 2015 Q2 2015 Q3 2015 Q4 2015 Q1 2016 Q2 2016 Q3 2016 Q4 2016

Internal Primary Secondary Tertiary Quaternary

8.4.4 Litigation
Card issuers may sue a borrower in certain situations to recover outstanding debts. Issuers use
litigation strategies for both the pre- and post-charge-off accounts. All issuers in the survey that
litigated delinquent credit card debt exclusively used an external network of attorneys to execute
their litigation strategies. A few issuers also noted that relatively few accounts are litigated in
pre-charge-off status. This practice has not changed since the prior survey in 2015. However, a

43 The averages are unweighted. Issuers that did not use internal recovery post-charge-off were not included in the
averages for internal recovery. Likewise, issuers that did not use third-party agencies were also not included in the
averages for third-party recovery.

325 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
few issuers have either completely stopped using litigation for recovery purposes or have
significantly reduced the volume of new assignments.

In most circumstances, surveyed issuers generally use segmentation techniques to identify


litigation-eligible accounts, especially in the later stages of delinquency. The segmentation
approach evaluates the economics of recovery via litigation channels, taking into account
various factors including account balance, delinquency level, likelihood of payment, and state-
specific cost of litigation. These accounts are then searched for assets, employment, and other
income as indicators of borrowers’ ability to repay upon filing a lawsuit.

Pre-litigation strategy generally involves the issuer or attorney sending a collection letter,
sometimes including a settlement offer, before initiating the legal process. Survey respondents
noted that account balances and likelihood of repayment are critical determinants of whether an
issuer deploys its litigation strategy. Some issuers reported that they sold accounts or placed
them with an attorney to pursue legal action when a consumer requested that they cease
communication.

Survey respondents stated that they generally selected a limited number of high-balance
accounts for litigation. The percent of delinquent debt assigned to the litigation channel ranged
from a low of 0.3% to nearly 5% among the survey respondents. Average litigated account
balances ranged from $3,000 to $11,000 among the survey participants with the average at
$6,700 in the fourth quarter of 2016. This average remained steady during the survey period.
The total amount paid out in attorney fees, including court filing fees, contingency fees, and any
other fees, as a percent of litigated balances ranged from 13% to 24%.44

A default judgment is a ruling in favor of the collector when the consumer has failed to respond
to a summons or to appear in court. More than half of the issuers that use litigation as a strategy
did not report default judgment separately. However, those that do track default judgments
separately report that more than two-thirds of all judgments are default judgments, ranging
from 64% to 73% as of year-end 2016.

44 The survey asked issuers to provide litigated balances rather than balances collected through the litigation channel
to calculate the litigation cost rates.

326 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
8.4.5 Debt sales
As part of their recovery efforts, some issuers chose to sell credit card debt, receiving a fraction
of the outstanding account balances from pre-selected debt buyers. Issuers typically enter into a
“forward flow” contract with debt buyers, by which they sell pools of accounts that meet a set of
pre-determined characteristics (e.g., at charge-off or post primary placement) to debt buyers on
an ongoing (e.g., monthly) basis. Occasionally, issuers may identify additional segments of
accounts and sell them on an ad hoc basis as well, sometimes known as a spot sale. Issuers also
leverage debt sale strategies for special segments like bankruptcy or decedent debt, where
specialized expertise is required to recover the amount owed. Issuers may also sell contractually
charged-off accounts when they believe further recovery efforts, either by the issuer or its third-
party agencies, may not provide adequate returns compared to the sales proceeds. Debt buyers
typically enter into contracts for the right to collect the entire balance, and they either do so
themselves or employ third-party agencies to collect on their behalf.

MARKET STRUCTURE
The debt buying market is highly concentrated among a few dominant buyers that purchase debt
from many of the same issuers. Most of the surveyed issuers that sold debt in 2016 had a similar
number of buyers year-over-year. However, one issuer reported that the number of buyers had
reduced by 50% between 2014 and 2017. In 2014, 16 unique debt buyers bought debt from the
surveyed issuers that sold debt, while there were 20 unique buyers in 2016. Seven buyers
purchased debt from two or more issuers and four buyers bought debt from all issuers that sold
debt.

DEBT SALE VOLUME


Our prior survey, conducted in 2015, showed that only half of the issuers employed debt sale
strategies in 2013 and 2014. Current survey results show that even fewer issuers sold debt in
2015 and 2016. All issuers that sold debt in the review period reported that they planned to sell a
higher percentage of the debt that charged off in 2017 compared to 2016. This is a reversal from
the results of our prior survey, in which no issuer reported plans to increase debt sales in the
following year.

Figure 7 compares issuers that did and did not sell debt in 2015 and 2016 by their use of post-
charge-off recovery channels. Of the total debt charged off in 2015 and 2016 for issuers that sold
debt in that period, roughly 28% was sold to debt buyers. Both issuers that sold debt and issuers
that did not sell debt relied on third-party contingency agencies for the largest share of their

327 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
charged-off balances. Issuers that did not sell debt used internal recovery and litigation for the
remaining charged-off debts.

FIGURE 7: SHARE OF CHARGED-OFF BALANCES BY RECOVERY CHANNEL FOR ISSUERS THAT DID AND
DID NOT SELL DEBT (MMI)45

40%

30%

20%

10%

0%
Third-party Warehousing Internal Sale Litigation

Issuers that sold debt Issuers that did not sell debt

DEBT PRICE
Generally, charged-off debt sells for a fraction of the account balance at a price dependent upon
the age of the debt. For example, if the debt is sold immediately after charge-off (“fresh debt”), it
generally garners a higher price than if the debt had been placed with third-party agencies and
then sold after recall from these agencies for non-payment. Figure 8 shows the average price of
debt by type.

45 Bars represent the average share of charged-off balances in each of the five recovery channels. The issuers provided
the status of balances that charged off at any point in 2015 as of the end of 2015, and likewise for 2016. For example,
if an account charged off in March 2015, was placed with a third-party collector in April 2015, and was recalled to be
worked in-house in October 2015, the issuer would report the balance in the internal recovery channel for 2015. The
distributions for 2015 and 2016 were averaged by issuer, and then averaged across issuers that sold debt and issuers
that did not sell debt.

328 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
The average price of debt remained relatively flat year-over-year. However, the price of fresh
debt, which was significantly higher than that of older debt, increased during the same period.

FIGURE 8: AVERAGE PRICE OF DEBT SOLD AS A PERCENTAGE OF ACCOUNT BALANCE (MMI)

16%

12%

8%

4%

0%
Fresh debt Post-primary Overall
2015 2016

The number of buyers to which issuers sold debt declined year-over-year. One issuer cut its
number of buyers from 14 in 2015 to seven in 2017. With fewer issuers selling than in prior
years, the demand for debt among the remaining buyers is pushing up expected prices. Several
issuers that sold debt planned to increase their sales volume in 2017 due to heightened
delinquency and charge-off in recent quarters. The survey respondents that sold debt in 2016
indicated that they planned to sell more of their charged-off debt in 2017 at an expected average
price ranging from $0.10 to $0.14 per dollar of debt balances.

DEBT SALE CONTRACTS


All survey respondents that sold debt reported that they provide several key documents and
account information, including:

 a copy of the signed contract that provides evidence of the borrower’s liability for the
debt;

 the account’s last 12 statements;

 itemized account of all amounts claimed;

 special status indicators (e.g., unresolved dispute); and

329 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
 information relating to prior collection efforts.

All surveyed issuers that sold debt also reported that they send out “goodbye” letters to the
borrowers. These letters informed borrowers of the sale and provided the name and contact
information of the buyer.

Restrictions imposed on buyers by all surveyed issuers that sold debt include:

 resale of the debt, which is limited to special circumstances (e.g., a buyer exiting the
market);

 restrictions on buyers’ ability to assess interest on the purchased debt;

 prohibitions on litigation of time-barred debt by buyers; and

 conditions under which the issuer will repurchase the debt.

While there is no explicit restriction on reporting to credit reporting agencies, the contracts
require that the buyer adhere to all Fair Credit Reporting Act requirements.

8.4.6 Special topics in credit card collections

DEBT MANAGEMENT PLANS


As another facet of their collection efforts, issuers work with consumer credit counseling service
(“CCCS”) organizations to help borrowers resolve their financial hardships. CCCS organizations
are generally non-profit third-party agencies, although issuers may also work with for-profit
credit counseling agencies.

These organizations work with borrowers to develop a budget and a debt management plan
(“DMP”) that generally involves a fixed-payment amount at a reduced interest rate. These
DMPs, if accepted by the creditors, generally require that consumers close all credit cards and
other open unsecured lines of credit, adhere to a budget, and make payments as agreed. After
acceptance into a CCCS program, borrowers generally make their payments to the CCCS
organization, which in turn distributes the payments to their creditors.

Based on a review of the policy documents submitted by surveyed issuers, the terms of DMPs
were generally similar to the internal long-term programs offered by issuers, where the duration
to amortize the balance did not exceed 60 months. Similar to the internal long-term program,

330 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
issuers also re-aged accounts on DMPs upon receiving three consecutive fixed payments (or the
lump-sum equivalent). The non-profit CCCS organizations were generally paid a fair share46 or
grant contribution from issuers for their services in addition to the monthly service charge that
they collected from borrowers who were enrolled in DMPs.

The surveyed issuers generally waived late and over-limit fees, if any, and ceased all active
collection efforts on accounts that were enrolled in any internal forbearance payment plan or
DMP, as long as the accounts met the renegotiated payment terms.

DEBT SETTLEMENT COMPANIES


Borrowers sometimes work with debt settlement companies (“DSCs”), which are different from
CCCS organizations. Most of the surveyed issuers maintained policies of not working with DSCs.
Accounts associated with DSCs were litigated, placed with special third-party agencies, or sold
to debt buyers at charge-off.

As a general matter, DSCs are typically for-profit entities with the primary objective of enrolling
qualified borrowers in a debt settlement program.47 These firms do not receive any
compensation from issuers in the form of fair share contributions or grants. Instead, they
typically assess the borrower a fee based on the original debt balance and contingent upon
completing the settlement with the creditor. Debt settlement programs state that they are
intended to build up clients’ funds over time in borrower-controlled accounts, which are then
used to fund negotiated settlements. Unlike the DMPs, borrowers who work with the DSCs
typically find their accounts continuing to grow in delinquency and reported to the credit
reporting agencies. Collection activities by issuers usually continue on these accounts, unless the
borrower has requested that the issuer cease communication, in which case the issuer may still

46 See Mark Furletti, Consumer Credit Counseling: Credit Card Issuers’ Perspectives, Federal Reserve Bank of
Philadelphia, (Sept. 2003), available at https://www.phil.frb.org/-/media/consumer-finance-institute/payment-
cards-center/publications/discussion-papers/2003/ConsumerCreditCounseling_092003.pdf.

47 See Greg J. Regan, Options for Consumers in Crisis: An Updated Economic Analysis of The Debt Settlement
Industry (Data as of March 31, 2015), American Fair Credit Council, (Aug. 15, 2015), available at
https://americanfaircreditcouncil.org/press/report-findings-validate-economic-benefits-of-debt-settlement-
programs-for-consumers.

331 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
pursue adverse credit reporting and legal collections, or the settlement plan is accepted by the
issuer.

DECEDENT DEBT
In general, upon notification that a consumer is deceased, the account is either routed to a
special unit in-house or a third-party agency that specializes in verifying the date of death, filing
proofs of claim, and recovering the amount owed from the decedent’s estate.

All issuers, upon verification of the date of death, claimed to charge off the accounts in a timely
manner, usually within 60 days from the date of death or confirmation of the death. No issuer
reported selling decedent debt. Given the sensitivity required with decedent debt collections,
most issuers reported that they wait 14 to 28 days from the date of notification before initiating
any contact with the decedent’s estate regarding the debt.

CONSUMER COMMUNICATION
All surveyed issuers reported that they ceased communication when they received written
requests from borrowers.48 Most reported that they also ceased communications when the
requests were made verbally. However, none of the survey participants tracked the volume of
verbal requests separately from written requests.

Most issuers reported that they also accommodated special requests for limited cease
communication requests, such as stopping communications at a particular time of the day or
day of the week. A few issuers accepted requests to cease communications in certain channels
(e.g., requesting the issuer cease making phone calls but permitting emails, letters, and text
messages). Total balances in pre- and post-charge-off inventory with requests to cease
communication grew significantly in recent quarters for most issuers. The year-over-year
growth in account balances with these requests ranged from 5% to 44% among the surveyed
issuers.

48 15 U.S.C. § 1692c, 805(c).

332 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
CONSUMER-LEVEL COLLECTIONS
Issuers can collect or recover debt at an account level, where each consumer’s delinquent
accounts are managed separately, or at a consumer level, where each consumer’s delinquent
accounts are managed together. Three-fourths of the surveyed issuers indicated that they
employed some degree of a consumer-level pre-charge-off collections strategy for consumers
with multiple delinquent accounts with a single issuer. These issuers generally reported that the
oldest delinquent account with the highest balance in the relationship was the lead account, and
all of a consumer’s delinquent accounts were handled during a single call to the consumer. The
other one-fourth of surveyed issuers engaged in account-level pre-charge-off collections. The
percent of total pre-charge-off delinquent dollars belonging to consumers with multiple
accounts from the same issuer ranged from 10% to 67% in 2016.

Most of the surveyed issuers did not have a consumer-level approach for recovering post-
charge-off debt. Only one-quarter of the issuers placed all of a consumer’s charged-off accounts
with the same third-party agency for collections at the consumer-level.

333 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
9. Product innovation
The pace and nature of innovation in consumer financial services markets is accelerating and
shifting. The change is evident in language. For example, the term “fintech” appears to have first
emerged in the general-interest media in 2013 as an umbrella term for a wave of technology and
technology companies focused on using the tools and approach of Silicon Valley in the world of
finance. In the third quarter of 2017, the Wall Street Journal used the term over 70 times. The
change is also evident in economic terms, with tens of billions of dollars invested in fintech firms
in recent years.1 The Bureau’s research and ongoing engagement with market participants
through a number of channels confirms the exponential growth of interest in financial
innovation.

Our Congressional mandate to review the credit card marketplace specifically instructs us to
assess “credit card product innovation.”2 In the past, we have done this in two ways.3 First, we
have looked at innovation that is specific to the credit card market. Second, we have addressed
broader innovations in consumer financial markets that have included or otherwise affected the
credit card market—such as payments innovations relating to security and form factor.

To build off our previous work, we proceed as follows.

First, in other sections of this report we have noted areas of credit card innovation related to the
subjects covered there. In many respects, this is the main way in which we address credit card
innovation in this report. As a result, we briefly summarize, below, where this report has
discussed trends, products, or developments that reflect credit card innovation.

1 See, e.g., KPMG The Pulse of Fintech Q3 2017: Global Analysis of Investment in Fintech, (Nov. 7, 2017), available at
https://assets.kpmg.com/content/dam/kpmg/xx/pdf/2017/11/pulse-of-fintech-q3-17.pdf; Peter Lischick, U.S.
Payments Venture Capital Investment Five Year Recap, First Annapolis Consulting, (Aug. - Sept, 2017), available
at http://www.firstannapolis.com/articles/u-s-payments-venture-capital-investment-five-year-recap.

2 15 U.S.C. § 1616(a)(4)(D).

3 See generally 2015 Report, at 263-288.

334 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Second, we revisit some of the specific topics discussed in the innovation chapter of our 2015
Report—adoption of the Europay, Mastercard, and Visa (“EMV”) standard in the U.S., mobile
payments, and certain emerging lending products.

Finally, we note some additional recent innovative developments or trends in the credit card
market not otherwise covered elsewhere in this report. Overall, the available evidence is
consistent with an increasing pace of innovative activity, both specific to credit card markets and
in overlapping consumer finance markets more generally.

9.1 Innovations discussed above


Throughout this report, we have referred to a number of developments and trends relating to
innovation in the credit card lifecycle—many, but not all, directly facilitated by digitization.

Section 4 notes the continuing growth of digital origination channels at the expense of analog
ones. It also reviews evidence that issuers are increasing their reliance on line management as a
risk management tool.

Section 5.1 examines how evolutions in digital account servicing have changed the cardholder
experience, and Section 5.2 quantifies the recent trend of issuers providing consumers with their
current credit scores. Section 5.3, which outlines several metrics relating to balance transfer
volumes and outcomes, also notes recent product innovations in that part of the market.

Section 6 discusses how increased issuer and consumer interest in secured credit cards is
attracting new participants and renewed market energy.

Section 7 takes a deeper look at how one group of innovative entities—third-party comparison
sites—is facilitating a shift in consumer behavior and expectations in shopping for credit card
accounts.

9.2 Topics from the 2015 Report


Our 2015 Report identified three developments that we believed were especially likely to have a
substantial effect on the consumer credit card market going forward. These were: first, the

335 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
transition to cards compliant with the EMV security standard, colloquially referred to as “chip”
cards; second, breakthroughs in tokenization, which unlocked the possibility of mass adoption
of mobile payments; and third, the emergence of a wave of new firms specializing in personal
loans or point-of-sale financing.

We discuss recent developments in each of these areas. With regard to security innovations, we
examine how adoption of the EMV standard has progressed in the United States. The 2015
Report contains additional analysis and context of the state of payment card security, as well as
the effect of EMV adoption and tokenization on payment card fraud in both the card-present
and card-not-present transaction environments. With regard to mobile payments, we discuss
the different types of mobile wallets that have seen growth over the past several years, as well as
mobile payments more generally. Last, we review developments in the personal installment loan
and point-of-sale lending industries and discuss their effect on the credit card market.

We do not revisit those topics in the same depth in this report. This does not necessarily reflect a
shift in the weight the Bureau gives these topics generally. Instead, we intend to build off the
2015 Report’s framing and snapshot of the market dynamics at that point, discussing only
notable shifts in those dynamics that we have observed over the past two years.

9.2.1 EMV adoption


In October 2015, the major payment card networks instituted their planned “liability shift.”
With certain exceptions, the shift moved liability for losses resulting from fraudulent card-
present transactions to whichever party had not implemented the EMV standard—either the
card issuer or the merchant acquirer.4 This policy change was designed to accelerate the
adoption of EMV-compliant chip cards and point-of-sale terminals in the United States so as to
reduce fraud. In particular, EMV technology is designed to limit counterfeit card fraud, and it
appears to have a successful record in that respect in other countries where it has been

4 There are many ways to categorize payment card fraud. Among the most commonly used categories are fraud
related to transactions in which a physical card is presented to a merchant (“card-present” fraud) and transactions
in which credentials are transmitted remotely to the merchant (“card-not-present” fraud). The latter includes
telephone and online transactions.

336 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
implemented. As the Bureau’s 2015 Report was published only a few weeks after the shift
occurred, we were able to summarize the run-up to the transition, but not the consequences.

Since we published our 2015 Report, the transition to EMV has proceeded apace. While the
Bureau lacks a single source of systematic data on the subject, sufficient information exists to
paint an approximate depiction of progress to date. By mid-2017, total U.S. Visa debit and credit
chip cards in circulation neared 450 million, representing 62% of all U.S.-issued Visa cards.5
Visa’s June 2017 “chip-on-chip” payment volume—payments made using chip cards, on chip-
enabled terminals, and processed according to the EMV standards—was more than double June
2016’s chip-on-chip volume by both the number and dollar value of transactions.6 Four-fifths of
consumer Mastercard credit cards were chip cards by the summer of 2016.7 Overall, nine-tenths
of credit cardholders now report holding at least one chip credit card, and four-fifths of chip
credit or debit cardholders report having made EMV-compliant transactions more than ten
times.8 Both networks report merchant adoption of EMV-compliant terminals is widespread,
though lagging the adoption rates achieved on the issuer side. EMVCo (the entity responsible for
promulgating the EMV standards) reports that overall EMV card adoption in the U.S. exceeded
52% by the end of 2016, a vast leap from the 7.3% adoption reported just two years prior.9
Overall, EMVCo reports that just shy of one-fifth of all U.S. card-present transactions in 2016
were EMV transactions, up from under 2% in 2015.10 These data are commensurate with
industry analyst projections, such as those published by the Aite Group in 2016, which projected

5 Visa, Chip-Enabled Merchants Up; Counterfeit Fraud Down, https://usa.visa.com/visa-everywhere/security/visa-


chip-card-stats-june-2017.html (last visited Dec. 7, 2017).

6 Id.

7 Press Release, Mastercard, Eighty Percent of Mastercard U.S. Consumer Credit Cards Have Chips (Aug. 3, 2016),
available at https://newsroom.mastercard.com/press-releases/eighty-percent-of-mastercard-u-s-consumer-credit-
cards-have-chips.

8 Auriemma Consulting Group, Trend Database, Cardbeat U.S. Edition, Q2 2017, at 8 (July 2017).

9 EMVCo, EMV Card-Present Transaction Percentage, https://www.emvco.com/about/deployment-statistics (last


visited Dec. 7, 2017).

10 Id.

337 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
the transition of consumers’ cards would be all-but-complete by the end of the decade, with
merchant terminal adoption only nearing two-thirds.11 Small businesses seem slower to adopt
the new technology than larger ones, potentially concentrating liability risk on individual
proprietors.12

Data also suggest that EMV adoption is having its intended effect on card-present fraud. Visa
reports that counterfeit fraud (measured by dollar volume) dropped 58% year-over-year in
March 2017 for those merchants that had upgraded their terminals. Mastercard reported a
similar figure.13 A substantial decline in counterfeit card fraud would be commensurate with the
declines seen in other countries that have adopted EMV.14

To the extent that the EMV shift catalyzes the trend of fraudsters to target card-not-present
(“CNP”) channels (particularly online), fraud risks could shift to a large degree without
experiencing a corresponding decline in net magnitude.15

Indeed, CNP fraud appears to have increased. According to one index, the online fraud attack
rate—the percentage of transactions at risk out of the total number of sales recorded on a
retailer’s online commerce system—more than tripled between the second quarter of 2015 and

11 Julie Conroy, EMV: Issuance Trajectory and Impact on Account Takeover and CNP, Aite (May 5, 2016), available
at https://aitegroup.com/report/emv-issuance-trajectory-and-impact-account-takeover-and-cnp; Thad Peterson,
Mobile Wallets: News From the Front, Aite (Aug. 15, 2017), available at https://www.aitegroup.com/report/‌
mobile-wallets-news-front.

12 See 2015 Report, at 272-273.

13 Visa, Chip-Enabled Merchants Up; Counterfeit Fraud Down, https://usa.visa.com/visa-everywhere/security/visa-


chip-card-stats-june-2017.html (last visited Dec. 7, 2017); Press Release, Mastercard, Eighty Percent of Mastercard
U.S. Consumer Credit Cards Have Chips (Aug. 3, 2016), available at https://‌newsroom.mastercard.com/press-
releases/eighty-percent-of-mastercard-u-s-consumer-credit-cards-have-chips.

14 Julie Conroy, EMV: Lessons Learned and the U.S. Outlook, Aite, (June 10, 2014), available at
http://aitegroup.com/‌report/‌emv-lessons-learned-and-us-outlook.

15 While consumers are generally protected from the pecuniary costs of card fraud by both Federal regulation and
network rules, the time cost and aggravation of dealing with a compromised card are still a significant consumer
cost. In addition, fraud costs that hit providers may indirectly affect consumer costs. Conversely, fraud cost savings
may be passed through to consumers in the form of lower prices or other benefits.

338 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
the second quarter of 2016, from 0.73% to 2.58%, before declining to 1.81% in the second
quarter of 2017.16 This increase, which matches that experienced by other countries following
EMV migration, likely reflects fraudsters moving their attacks online as EMV adoption has made
card-present fraud more difficult.17

9.2.2 Mobile wallets and payments


Over the last several years, the number of products available to consumers that allow them to
store payment information and make payments via their smartphones has grown significantly.
The competitive landscape for mobile wallets is comprised of often overlapping and still
consolidating entities including banks, card networks, retail stores, software developers, social
networks, and phone manufacturers.18 Mobile wallets differ on a variety of dimensions, which
include:

 Access: Can the wallet be loaded on any mobile device, or is it limited to a defined type
of device? Some mobile wallets, particularly those offered by phone manufacturers, can
only be used on particular mobile devices. Others can be downloaded and run on a
variety of different devices and operating systems. A variant on this dimension is funding
source acceptance—many mobile wallets provided by banks only allow consumers to add
funding sources from that particular bank to the wallet.
 Funding: Can the wallet store funds itself, or does it rely on the use of an underlying
funding source at the time of each transaction? Some wallets, particularly those offered
by retail stores and social networks, include a stored-value component that allows

16 Forter, The Forter/MRC Fraud Attack Index: There’s Good News, and There’s Bad News. How has Online Fraud
Changed Q1-Q3 2017? Find Out, https://www.forter.com/resources (last visited Dec. 7, 2017).

17 See Aite, Card-Not-Present Fraud in a Post-EMV Environment: Combating the Fraud Spike, (White Paper
prepared for RSA, 2014), available at https://www.emc.com/collateral/white-papers/card-not-present-fraud-post-
emv-env-wp.pdf.

18 For purposes of this section, a “mobile wallet” is any digital wallet accessed on a mobile device, such as a
smartphone, smartwatch, or tablet. A “digital wallet” is a means of electronically storing and transmitting funds or
payment credentials and related information.

339 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
consumers to pre-load funds into the wallet. Others require a linked funding source,
such as a credit or debit card, that is drawn upon for each transaction. Increasingly,
wallets that previously relied on an underlying funding source for each transaction are
moving to also provide a stored-value function.19
 Acceptance: Where can the mobile wallet be used to transact and with whom? There
are three main types of transactions that a mobile wallet can facilitate: peer-to-peer
(“P2P”), in-store (“mobile point-of-sale” or “mPOS”), and in-app or in-browser (“mobile
commerce”). Increasingly, wallets are moving to provide all three of these functions.
 Rewards and related functions: Does the mobile wallet allow consumers to add
rewards card or program membership information, or to add and use coupons? Some
mobile wallets, particularly those offered by retail stores, allow consumers to add loyalty
program information to the wallet alongside payment credentials. These also often allow
consumers to “clip” coupons to the wallet by scanning the coupon code with their phone,
which can then be applied seamlessly when the consumer is using the mobile wallet to
make a qualifying purchase.
 Consumer data collected: How much consumer and transaction data does the mobile
wallet collect? When a mobile wallet is used to make a payment, a variety of data
traditionally unavailable to card-based payment providers may be collected, such as
what specific items are purchased or where the consumer traveled before the purchase
was made. Different mobile wallets collect varying amounts of consumer information to
use for identity verification and fraud detection, as well as for research and marketing.

One prominent mobile wallet type is the “Pay” wallets, which includes Apple Pay, Google’s
Android Pay, and Samsung Pay. Apple Pay and Samsung Pay are available to consumers that use
an eligible mobile device manufactured by Apple or by Samsung, respectively. Android Pay is
available to consumers with an eligible mobile device running Google’s Android operating
system. Prior to making a payment, users of a Pay wallet must add a payment card issued by a

19 In addition, many wallets with stored-value functionality are beginning to offer consumers more ways to access and
use that stored value. See, e.g., David Lumb, Venmo Invites Users to Try Physical Debit cards, Engadget (Sept. 11,
2017), available at https://www.engadget.com/2017/09/11/venmo-invites-users-to-try-physical-debit-cards; Saqib
Shah, Square’s Personalized Prepaid Card is Available to Everyone, Engadget (June 30, 2017), available at
https://www.engadget.com/2017/06/30/square-cash-card-available.

340 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
participating institution to the wallet. This process follows a payment tokenization specification,
which requires the consumer to first provide their payment card information and to satisfy an
identification and verification process with the issuer. Once that process is satisfied, a payment
token representing the consumer’s card is stored on the consumer’s mobile device and may be
used to initiate transactions both in-store and online. All three Pay wallets support the use of
near field communication (“NFC”) technology to make mobile point-of-sale (“mPOS”)
payments, meaning they can be used to purchase goods and services at any business that has a
NFC-enabled point-of-sale terminal. Samsung Pay wallets can also make mPOS payments at
non-NFC terminals using a technology called magnetic secure transmission. The Pay wallets
also support in-browser and in-app payments at participating merchants. Consumer usage of
Pay wallets is somewhat small, but growing. A survey by First Annapolis in the first quarter of
2017 found that 27% of consumers with an Apple Pay-compatible iPhone had used Apple Pay,
but only 8% used Apple Pay more than once a week.20 The same figures were 10% and 3% for
Android Pay, and 15% and 6% for Samsung Pay.21

Some financial institutions have developed their own mobile wallets, to which their customers
can add payment cards issued by the financial institution. Other than being restricted to only
using payment cards issued by one financial institution, these wallets generally perform
similarly to the Pay wallets. Some, like the Capital One Wallet, can be used in-store via NFC-
enabled terminals. Others use different technology to enable mPOS payments. Chase Pay, for
example, uses “QR codes,” a type of two-dimensional barcode.

Similarly, some retailers have released mobile wallets. These apps are often QR-code based, and
allow consumers to add payment cards as well as coupons and reward program cards. Two of
the most successful retailer mobile wallets to date are those of Starbucks and Dunkin’ Donuts.22

20 First Annapolis Consulting, Study of Mobile Banking & Payments – Mobile Wallet Report, at 9 (Mar. 2017),
available at http://www.firstannapolis.com/wp-content/uploads/2016/08/First-Annapolis-Consulting_Mobile-
Wallet-Report_March-2017.pdf.

21 Id.

22 BI Intelligence, Starbucks Tackles Order-Ahead Issues, Business Insider (Apr. 3, 2017), available at
http://www.businessinsider.com/starbucks-tackles-order-ahead-issues-2017-4; Kate Fitzgerald & Nick Holland,

341 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
On top of the convenience of being able to combine payment credentials and rewards programs
in one mobile wallet, consumers of both retailers have made significant use of the ability to
order-ahead. Starbucks reported that, in the third quarter of 2017, mobile payments using the
Starbucks mobile wallet accounted for 30% of all U.S. transactions, and that mobile order-ahead
made up 9% of all U.S. transactions.23

According to the Board’s Consumers and Mobile Financial Services survey, between 28% and
38% of U.S. consumers with a smartphone made a mobile payment in 2015. The most common
types of mobile payments that these consumers reported making were paying bills (65%),
purchasing a physical item or digital content remotely (42%), paying for something in a store
(33%), and sending money to friends or relatives within the United States (25%).24 However, the
Board’s survey does not distinguish between mobile payments consumers make by manually
entering card payment details, payments made by leveraging payment credentials on file with a
merchant or payment recipient information on file with their depository institution, and
payments made using a mobile wallet.

Recent activity in the mobile payments market has also focused on improving the consumer
experience with mobile commerce. The fourth quarter of 2016 saw $22.7 billion of mobile
spending, accounting for 21% of all online spending.25 As mobile commerce becomes more

Data: What Lures Consumers to Retail Mobile Apps?, PaymentsSource (Dec. 6, 2017), available at
http://www.paymentssource.com/slideshow/data-what-lures-consumers-to-retail-mobile-apps#slide-1.

23Press Release, Starbucks, Starbucks Reports Q3 Financial and Operating Results; Company Announces Strategic
Actions to Advance Growth Agenda and Increase Returns (July 27, 2017), available at https://investor.starbucks.‌
com‌/press-releases/financial-releases/press-release-details/2017/Starbucks-Reports-Record-Q3-Financial-and-
Operating-Results-Company-Announces-Strategic-Actions-to-Advance-Growth-Agenda-and-Increase-
Returns/default.aspx.

24Sam Dodini et al., Consumers and Mobile Financial Services 2016, Board of Governors of the Federal Reserve
System, (Mar. 2016), available at https://www.federalreserve.gov/‌consumerscommunities/‌
mobile_finance_publications.htm.

25Press Release, comScore, comScore Reports $109 Billion in Q4 2016 Total Digital U.S. Retail E-Commerce
Spending, Up 18 Percent v. Year Ago (Feb. 13, 2017), available at http://www.comscore.com/Insights/Press-
Releases/2017/2/‌comScore-Reports-109-Billion-in-Q4-2016-Total-Digital-US-Retail-E-Commerce-Spending-Up-
18-Percent-vs-Year-Ago.

342 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
prevalent, the industry is finding more convenient ways to facilitate mobile purchases. One way
to facilitate purchases is through “buy buttons,” which can be used for purchases in apps, mobile
browsers, or non-mobile browsers. Buy buttons are clickable “buttons” on a website or in an app
that effectively function as digital wallets because they allow consumers to input their payment
credentials once, store them, and then access those credentials in the future using a simpler
interface, usually a username and password. As of the second quarter of 2017, the most common
buy button is PayPal, which is accepted on over 700 websites. The three major mobile wallets
are not commonly-accepted buy buttons: less than 1% of merchants accept Samsung, Apple, and
Android Pay through that feature.26 By comparison, taken together, buy buttons offered by Visa,
Mastercard, and American Express are accepted by just over 90 merchants. Other large
companies, such as Google and Amazon, have also begun leveraging the large number of
consumers that have a card on file with them to join the buy button fray.

9.2.3 Emerging lending products


Our 2015 Report identified two emerging categories of lending products with the potential to
alter the evolution of the credit card market. The first was unsecured personal loans from
fintech lenders that are marketed to consumers as a means of paying off revolving credit card
balances. The second was non-card loans offered to consumers at the point of sale as an
alternative credit-based payment option. Since our 2015 Report, the penetration and
prominence of products in both categories have grown. Evidence is emerging that both sets of
products are beginning to have notable effects on the broader credit card market.

FINTECH PERSONAL LOANS


The personal loan market is not new. What is new is that the market is experiencing substantial
growth largely as a result of fintech lenders. According to data from Experian’s Market
Intelligence Report (“MIR”), annual “personal loan” originations in 2015 and 2016 exceeded
each of the preceding eight years both in number of accounts and dollar volume, up more than

26See PYMTS.com, The State Of The “Buy Button,” (Oct. 20, 2017), available at https://www.pymnts.com/news/
ecommerce/2017/buy-button-penetration.

343 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
50% and 90%, respectively, from their low point of 2010.27 According to MIR, the number of
outstanding personal loan accounts was, as of the second quarter of 2017, higher than any
number recorded since 2007, and total balances of such loans exceeded $244 billion, compared
to $159 billion in early 2012. The second quarter of 2017 also saw the origination of over 5.3
million personal loans totaling over $40 billion in personal loan originations, the highest single
quarter by both metrics we can observe in the decade-long period for which we have data.

This recent growth can, in significant part, be attributed to non-traditional entrants to the
market. Per MIR, “non-bank finance companies” are responsible for two-thirds of the growth in
personal loan outstandings. According to a recent report by TransUnion, which uses a narrower
definition of “personal loan” than Experian, fintech lenders made just 0.9% of the nearly $30
billion in personal loan originations in 2010, but made 30% of the nearly $80 billion in personal
loan originations in 2016.28 Some of these companies have grown rapidly. A single such lender
originated over $8 billion in loans in each of 2015 and 2016.29

POINT-OF-SALE LOANS
Lenders offering new point-of-sale lending products also have the potential to change how
consumers view and use their credit cards.30 Generally, these lenders offer closed-end, fully-
amortized installment loans to consumers at the time they are making a purchase with a
participating merchant, generally by means of a branded “pay with” button as a payment option
during checkout. If the consumer selects the payment option, automated underwriting generally

27MIR defines such loans broadly to include unsecured non-credit card loans. The definition used here should not be
taken to represent the Bureau’s perspective on what should and should not be considered a “personal loan” under
all circumstances.

28TransUnion Consumer Credit Database, Fact or Fiction: Are FinTechs Different from Other Lenders?, at 2,
TransUnion LLC (2017), available at https://transunioninsights.com/factorfiction.

29 See Lending Club, Annual Report (Form 10-K) (Feb. 23, 2017).

30This may be especially true for providers that also process payments. For example, Swedish firm Klarna leverages
its significant position as a processor—it reports a 10% share of all Northern European online commerce—to offer
point-of-sale financing options to consumers in Europe and the United States. See Klarna, Klarna Statistics,
https://www.klarna.com/us/about-us/klarna-statistics (last visited Dec. 7, 2017).

344 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
occurs on the spot and the loan proceeds are remitted directly to the merchant once the
consumer accepts the loan. Unlike other loans for which the proceeds can only be used to make
purchases indirectly, these loans can be used to fund a purchase directly—making them more
similar to credit cards, and inherently more likely to pose competition to credit cards.

Players in this market have continued to broaden their offerings, striking new consumer- and
industry-facing partnerships and procuring more funding.31 One fintech company offering
point-of-sale loans recently moved outside of the merchant-partnership model, expanding its
consumer use case beyond just those retailers that have opted to present it as a payment option
to consumers. Using the company’s mobile app, a consumer can apply for financing of up to
$10,000 to purchase goods from virtually any retailer. If approved, the consumer is provided
with a one-time-use virtual card that they use like any other payment card to purchase the
goods. The virtual card then expires, and the consumer pays off the loan in fixed installments.32

BROADER MARKET REACTION


A recurring pattern in markets seeing many fintech entrants is that, after those entrants
demonstrate the potential of a certain product or strategy, incumbent market participants move
to acquire, partner with, or outcompete them. That pattern holds true here. Sensing untapped
opportunity, one major bank entered the personal loan market by building a branded product
that launched last year, and has already crossed the $1 billion milestone in cumulative

31 For example, Klarna received an undisclosed investment from Visa earlier this year, and has also struck a deal with
payment processor Stripe which could allow Klarna’s lending products to be offered in parallel to traditional
payment options at a wide variety of merchants. See Tom Turula, Klarna is Reportedly Partnering with Online
Payment Giant Stripe to Fuel U.S. Expansion, Business Insider Nordic (Aug. 24, 2017), available at
http://nordic.businessinsider.com/klarna-is-reportedly-partnering-with-online-payment-giant-stripe-to-fuel-us-
expansion-2017-8. American startup Bread, which offers white-label installment loans at point-of-sale, recently
raised $126 million. See Lauren Gensler, Fintech Startup Bread Raises $126 Million in Bid to Finance Big Online
Purchases, Forbes (Aug. 2, 2017), available at https://www.forbes.com/sites/laurengensler/2017/08/02/bread-
series-b-menlo-ventures-online-financing/#2faefa006d12.

32 See Nick Statt, Affirm’s New Mobile App Lets You Borrow Money for Almost Any Online Purchase, The Verge,
(Oct. 23, 2017), available at https://www.theverge.com/2017/10/23/16516792/affirm-mobile-app-lending-money-
launch-virtual-credit-card.

345 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
originations.33 Other banks have opted to partner with fintech firms, leveraging the fintech’s
platform and technology to lower the fixed costs of originating loans.34

Major credit card issuers have also begun to invest more heavily in this area, offering
installment loans to their own customers who might otherwise go to another lender to
consolidate their outstanding credit card debt. One major issuer with an existing personal loan
portfolio has engaged in what it described as “product enhancements and strong execution” in
its offerings, and has seen its personal loan balances triple over the past six years.35 Several
other large issuers have entered the personal installment loan market since 2016.36 One of those
issuers has begun offering its cardholders a product that allows them to convert larger purchases
made on their card into fixed-term installment loans, like those offered by the point-of-sale
lenders discussed above.37 If this market continues to grow, and if credit card issuers continue to

33Jim Cramer, CNBC Exclusive: CNBC Transcript: Goldman Sachs Chairman & CEO Lloyd Blankfein Speaks with
CNBC’s Jim Cramer on ‘Mad Money’ Today, CNBC (June 19, 2017), available at https://www.cnbc.com/2017/06/19‌
/‌cnbc-exclusive-cnbc-transcript-goldman-sachs-chairman-ceo-lloyd-blankfein-speaks-with-cnbcs-jim-cramer-on-
mad-money-today.html. The interviewee projects that his firm’s product will cross the $2 billion milestone before
the end of 2017.

34See, e.g., Telis Demos, GreenSky Scores $3.6 Billion Valuation From Fifth Third Bancorp, Wall St. J. (Sept. 12,
2016), available at https://www.wsj.com/articles/greensky-scores-3-6-billion-valuation-from-fifth-third-bancorp-
1473716194.

35See Discover Financial Services (2Q 2012 Earnings Statement, Financial Supplement) (July 19, 2012); Discover
Financial Services (4Q 2014 Earnings Statement, Financial Supplement) (Jan. 21, 2015); Discover Financial
Services (2Q 2016 Earnings Statement, Financial Supplement) (July 26, 2017).

36See e.g., AnnaMaria Andriotis, AmEx’s Lending Push Goes Beyond Cards, Wall St. J. (Mar. 9, 2017), available at
https://www.wsj.com/articles/amexs-lending-push-goes-beyond-cards-1489084412; Laura Alix, Seeking Bigger
U.S. Presence Barclays Joins Crowded Online Market Lending, Am. Banker (Nov. 21, 2017), available at
https://www.americanbanker.com/news/seeking-bigger-us-presence-barclays-joins-crowded-online-lending-
market; Penny Crosman, Onur Genc’s (somewhat) Offbeat Growth Plan for BBVA Compass, Am. Banker (Nov. 8,
2017), available at https://www.americanbanker.com/news/onur-grencs-somewhat-offbeat-growth-plan-for-bbva-
compass.

37
See David Henry, American Express Targets Debt-Leery Consumers with New Card Features, Reuters (Aug. 29,
2017), available at https://www.reuters.com/article/us-american-express-cards-loans/american-express-targets-
debt-leery-consumers-with-new-card-features-idUSKCN1B92TW. Notably, this product would allow consumers to
potentially maintain their grace period on purchases even as they carried one or more installment balances. As we

346 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
broaden and deepen their offerings, consumer expectations regarding the types and terms of
credit available to them may shift permanently.

9.3 Other developments


This section reviews two additional areas of innovation in or encompassing the credit card
market. First, we review the growing availability of consumer payment card controls. Second, we
discuss developments in the credit card rewards space.

9.3.1 Card controls


The ability to set parameters for when, where, and how a credit card is used has long been a
feature offered to, and valued by, business card customers. The ability to set, for example, a
maximum single purchase amount, a weekly spending limit, or merchant category restrictions
can help a business control expenses and limit fraud exposure. These same tools can help
consumers manage spending and lower the likelihood of fraudulent transactions appearing on
their account; however, they have not generally been available on consumer credit cards.
Recently, however, some issuers have provided on/off functionality, which we discuss further
below.

In 2015, one large issuer introduced into the portal offered to their customers an on/off “freeze
account” toggle that, when activated, causes all new purchases, cash advances, and balance
transfers on the account to be declined. Recurring transactions would continue to be processed,
and the consumer can unfreeze their account at any time to resume normal use.38 Other issuers
have followed in offering an on/off account control toggle to their cardholders. One fintech
company offers a product that allows consumers to use a unique credit card number with each
merchant they transact with, and to set individual limits on how much can be spent at each

mentioned both in Section 5.3 and earlier in this chapter, this stands in contrast to the prevailing practice in the
balance transfer space, though several major issuers are revising their policies in this regard.

38Discover, Freeze Your Account, https://www.discover.com/credit-cards/help-center/faqs/freeze-account.html


(last visited Dec. 7, 2017).

347 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
merchant.39 Another fintech company has worked to create a “remote control for your credit
card” in the form of an app that issuers can integrate into their mobile banking app.40

The card networks have recently taken action to enable greater consumer control over card use.
In February of 2016, Visa released its Consumer Transaction Controls, which are available to
Visa card issuers and “enables account holders to set simple, convenient, and effective spending
controls, receive transaction alerts, or even temporarily suspend their accounts using a simple
on/off feature.”41 Mastercard’s In Control product can grant “greater convenience, security and
control to consumers, small businesses and corporations,” and “parents, employers and other
customers can set parameters for when, where and how cards are used, giving them more
control over their accounts.”42

There is evidence suggesting that consumers would value such controls. In a 2016 study of
consumer payments in the U.S., TSYS found that four out of the top six mobile phone financial
app features that consumers were most interested in related to card controls, beating out the
ability to transfer money to friends, split a bill at a restaurant, and keep loyalty or rewards cards
on the mobile phone.43

39 Final, The Credit Card was Broken. We Fixed It, https://getfinal.com (last visited Dec. 7, 2017).

40 Issie Lapowsky, Remote Control for Your Credit Card Protects You From Theft, Wired (Apr. 4, 2014), available at
https://www.wired.com/2014/04/card-control.

41 Press Release, Visa, Visa Puts Consumers in Charge of Security (Feb. 9, 2016), available at
http://www.businesswire.com/news/home/20160209005812/en/Visa-Puts-Consumers-Charge-Security.

42 Mastercard, Empower Your Customers with Mastercard In Control, https://www.mastercard.us/en-us/issuers/‌


products-and-solutions/grow-manage-your-business/payment-innovations/mastercard-in-control.html (last
visited Dec. 7, 2017).

43 TSYS, 2016 U.S. Consumer Payments Study, at 33 (2016), available at https://www.tsys.com/Assets/TSYS/


‌ ownloads/‌rs_2016-us-consumer-payment-study.pdf (“Use your phone to immediately stop a transaction that was
d
not made by you” ranked first with 69% interest; “The ability to use your phone to turn your payment card on or off”
based on location, type of store, or time of day ranked fourth, fifth, and sixth, with 53%, 50%, and 50% interest,
respectively.) Id. at 26.

348 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
9.3.2 Rewards
Recent years have seen intensifying consumer usage and issuer competition in the rewards
space, as we documented in the 2015 Report. That has continued over the past two years. Issuer
competition has intensified on both sign-up incentives and on-going reward structures.
According to one study, the annual rewards spending among the six largest credit card issuers
grew from $10.6 billion in 2010 to $22.6 billion in 2016. The same study found that in the first
quarter of 2017, these issuers spent $6.2 billion on rewards, up 22% from the $5.1 billion spent
in the first quarter of 2016.44 The sign-up incentive that one large issuer offered during the
launch of a new premium card was so large that employees were reported to be “questioning
whether the card would make money and when.”45

We note two additional rewards developments here.

First, one major issuer has debuted a rewards product that departs from an important prior
norm of rewards products. Almost all existing and new rewards products are variations on a
similar set of foundational elements. One such element is that rewards products are generally
tied directly to spending—and only to spending, whether overall or within specific categories. In
other words, rewards are not tied to payment behavior, other than the requirement that the
consumer stay current so that rewards are not forfeited. But a new rewards product now
incentivizes consumers not just to spend on the card but also to pay down existing balances—
rewards are earned for each of these two activities.46 While paying more than the minimum
payment on the account may not be the best choice for all consumers at all times, certain CARD
Act provisions appear to reflect a Congressional judgment that many consumers would benefit

44Magnify Money, Credit Card Rewards More Than Doubled Since the Recession, New Study Shows, (May 4, 2017),
available at http://www.magnifymoney.com/blog/news/credit-card-issuers-doubled-spending-
rewards840948580.

45Emily Glazer, Sapphire Reserve Cards Aren’t Very Rewarding for J.P. Morgan, Wall St. J. (July 28, 2017),
available at https://www.wsj.com/articles/sapphire-reserve-cards-arent-very-rewarding-for-j-p-morgan-
1501239601.

46 Citi, Double Cash Credit Card, http://www.citi.com/doublecash (last visited Dec. 7, 2017).

349 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
from increasing the pace at which they pay down credit card balances.47 To the extent that
rewards incentivize payment on a credit card account, they may come to support that same goal.

Second, issuers have begun launching rewards programs that incentivize the use of mobile
wallets to make payments, likely in an attempt to establish themselves as the top-of-wallet card
in consumers’ mobile wallets.48 One issuer now allows cardholders to redeem cashback rewards
instantly, by using them to make purchases using a mobile wallet.49 A different, but related,
trend is mobile wallets themselves providing rewards to consumers in order to drive mobile
wallet adoption.50 These two additional types of reward incentives, on top of the rewards
program already paired with the underlying card, are evidence that both issuers and wallet
providers are optimistic about the future growth of mobile wallet usage, and are willing to pay to
be in position to take advantage of it.

47 See 15 U.S.C. § 1637(b)(11); 12 C.F.R. § 1026.7(b)(12).

48See, e.g., Claire Tsosie, Limited Time: More Chase Sapphire Rewards via Digital Wallet, NerdWallet Blog (Oct. 4,
2017), https://www.nerdwallet.com/blog/credit-cards/chase-sapphire-digital-wallet-purchases-bonus-rewards-
limited-time; Brian Acton, 3 Credit Cards That Offer Special Incentives for Mobile Wallets, credit.com Blog (Aug.
25, 2017), http://blog.credit.com/2017/08/3-credit-cards-that-offer-special-incentives-for-mobile-wallets-178166
(U.S. Bank Altitude Reserve, Wells Fargo Cash Wise Visa Card, PayPal Extras Mastercard).

49Mariella Moon, Discover Card Users Can Redeem Their Points on Apple Pay, Engadget (Oct. 11, 2017), available
at https://www.engadget.com/2017/10/11/discover-card-apple-pay-cashback-rewards.

50See, e.g., Press Release, Dunkin’ Donuts, Dunkin’ Donuts’ Perks Week Presented by Masterpass Begins Today,
Bringing Early Holiday Presents to DD Perks Rewards Program Members (Nov. 13, 2017), available at
https://www.prnewswire.com/news-releases/dunkin-donuts-perks-week-presented-by-masterpass-begins-today-
bringing-early-holiday-presents-to-dd-perks-rewards-program-members-300554689.html; Rachel Green,
Samsung Rewards Sees Success at One-Year Mark, Business Insider (Nov. 16, 2017), available at
http://www.businessinsider.com/samsung-rewards-sees-success-at-one-year-mark-2017-11. In a related
development, PayPal recently announced a new cash-back credit card offering in partnership with Synchrony. The
card provides 2% in cashback, which is automatically added to the consumer’s PayPal wallet. See Sarah Perez,
PayPal Launches its First Cash Back Credit Card to Boost PayPal Usage in Stores, Techcrunch (Aug. 30, 2017),
available at https://techcrunch.com/2017/08/30/paypal-launches-its-first-cash-back-credit-card-to-boost-paypal-
usage-in-stores.

350 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
APPENDIX: BALANCE TRANSFER PAYOFF
METHODOLOGY
We do not have direct data on the distribution of promotion length for accepted balance
transfers. In addition, though Y-14 data allow us to quantify the number and dollar volume of
balance transfers in the cycle they were initiated, they often do not allow us to distinguish
reliably between transferred balances and other balances in subsequent billing cycles. Therefore,
we can only examine total account balances to see whether consumers appear to be making
progress in paying transferred balances over time.

To assess potential payment progress on transferred balances, we place an upper and lower
bound on the share of accounts that pay off their transfer balance in full over time. To do this,
we first identify all accounts that had only one balance transfer over the period we observe, in
order to avoid the possibility of overlap. (As noted above, this captures the majority of accounts
that have balance transfers.) In the first cycle we are able to observe the amount of the transfer
and the amount of any other balances on the account. We can then see all volume, interest
charges, and fees on the account going forward, as well as the amount paid by the consumer
each month. Using these data we can model the change in balances generated by balance
transfers over time.

We first apply payments to any fees and interest charges that the account owed. At this point, we
use different methods to set the upper and lower bounds. To calculate the upper bound, we
apply 100% of the remaining payment amount to the modeled transfer balance. To compute the
lower bound, we apply the remaining payment amount to all other balances on the account, only
applying any of the payment to the modeled transfer balance if any is left over after completely
extinguishing other balances. We then carry the modeled transfer balance (and the modeled
other balances) into the next cycle and repeat the analysis. We do this for 24 cycles.1

1 We therefore limit our sample of accounts to those whose sole balance transfer occurred before the midpoint of 2015
to ensure we can observe the full observation period for all accounts.

351 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT
Our upper bound, therefore, assumes that each account is paying off its balance transfer as fast
as possible. The lower bound assumes each account is paying that balance off as slowly as
possible. Neither assumption is necessarily realistic at a given point in time. Collectively,
however, they bound the set of possible outcomes for transfer paydown.2

2 The upper bound is less realistic if the account has non-promotional balances as well. When that is true, the CARD
Act rules and implementing regulations would require payments be allocated in a manner closer to the lower bound.
See 15 U.S.C. § 1666c(b); 12 C.F.R. § 1026.53.

352 CONSUMER FINANCIAL PROTECTION BUREAU — CONSUMER CREDIT CARD MARKET REPORT

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