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Fast
Cash
2161 Hillsboro Blvd., Suite 9
Manchester, Tennessee 37355
(In Whispering Pines Shopping Center Next to Auto Zone and Curves)
info@manchestercash.com
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Back to WHY TRUST US |
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Fast Cash is proud to
be a member of the CFSA, the Community Financial
Services of America Association. CFSA requires
its members to agree to its list of BEST
PRACTICES.
We are committed to these BEST PRACTICES as one of
our many ways of seeking to provide our customers
with the best, most fair service and products
possible. Therefore, we pledge to you to always
comply with the following:
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Full disclosure.
A member will comply with the disclosure
requirements of the State in which the payday
advance office is located and with Federal
disclosure requirements including the Federal
Truth in Lending Act. A contract between a
member and the customer must fully outline the
terms of the payday advance transaction. Members
agree to disclose the cost of the service fee
both as a dollar amount and as an annual
percentage rate ("APR").
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Compliance. A
member will comply with all applicable laws. A
member will not charge a fee or rate for a
payday advance that is not authorized by State
or Federal law.
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Truthful
advertising. A member will not advertise the
payday advance service in any false, misleading,
or deceptive manner.
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Encourage
consumer responsibility. A member will
implement procedures to inform consumers of the
intended use of the payday advance service.
These procedures will include notifying
consumers that a payday advance is a short-term
cash flow tool not designed as a solution for
longer-term financial problems and informing
customers of the availability of credit
counseling services.
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Rollovers. A
member will comply with State laws on rollovers
(the extension of an outstanding advance by
payment of only a fee). In States where
rollovers are not specifically allowed a member
will not under any circumstances allow a
customer to do a rollover. In the few States
where rollovers are permitted, a member will
limit rollovers to four (4) or the State limit,
whichever is less.
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Right to rescind.
A member will give its customers the right to
rescind, at no cost, a payday advance
transaction on or before the close of the
following business day.
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Appropriate
collection practices. A member must collect
past due accounts in a professional, fair, and
lawful manner. A member will not use unlawful
threats, intimidation, or harassment to collect
accounts. CFSA believes that the collection
limitations contained in the Fair Debt
Collection Practices Act (FDCPA) should guide a
member's practice in this area.
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No criminal
action. A member will not threaten or pursue
criminal action against a customer as a result
of the customer's check being returned unpaid or
the customer's account not being paid.
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Enforcement.
A member will participate in self-policing of
the industry. A member will be expected to
report violations of these Best Practices to
CFSA, which will investigate the matter and take
appropriate action. Each member company agrees
to maintain and post its own toll-free consumer
hotline number in each of its outlets.
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Support balanced
legislation. A member will work with State
legislators and regulators to support
responsible legislation of the payday advance
industry that incorporates these Best Practices.
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Relationships
with financial institutions.
A member may market and service payday advances
made by a federally insured financial institution,
provided the financial institution does the
following: (1) sets its own credit criteria; (2)
approves and funds each advance; (3) complies with
State disclosure requirements, where not
inconsistent with Federal law; (4) complies with
State law as to the number of rollovers; (5)
permits the member to purchase no more than a de
minimis amount of the advances, or any such other
amount which may be consistent with safety and
soundness determinations by Federal banking
regulators; and (6) complies with these Best
Practices.
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© 2008 Copyright, Equity Transactions of Manchester, Inc. |
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