Re: Latest updates on PPI Judicial Review and claims on hold
Competition Commission involvement
Further consultation on Draft PPI Order (2011) - Payment Protection Insurance (PPI)
PPI Remittal
Further consultation on Draft PPI Order (2011)
Published: 14.02.11
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Notice of intention to make an Order (2011)
Draft PPI Order (2011)
Draft explanatory Note to accompany the PPI Order (2011)
Comparison with Draft PPI Order (2010)
Note of responses to the consultation on the Draft PPI Order (2010) and accompanying documents
Draft Order 2011 is most worth reading
Consultation responses response by the CC is fun
Competition Commission involvement
Further consultation on Draft PPI Order (2011) - Payment Protection Insurance (PPI)
PPI Remittal
Further consultation on Draft PPI Order (2011)
Published: 14.02.11
Files open as PDF documents in a new browser window.
Adobe PDF Reader is required to view reports: Download Adobe Reader here
Notice of intention to make an Order (2011)
Draft PPI Order (2011)
Draft explanatory Note to accompany the PPI Order (2011)
Comparison with Draft PPI Order (2010)
Note of responses to the consultation on the Draft PPI Order (2010) and accompanying documents
Draft Order 2011 is most worth reading
Consultation responses response by the CC is fun
Article 3—Obligation to provide information about PPI
Articles 3.1 and 3.2
25. It was suggested that the requirement to include information about the monthly cost for every £100 of monthly benefit would not assist consumers. Similar submissions had been made during the original inquiry. We considered these submissions and saw no evidence that required us to depart from our view in the 2009 report, namely that the provision of this information to consumers would help consumers understand the price of PPI and to search more effectively for the best value policy for their protection needs when the common currency of monthly cost for every £100 of monthly benefit became standard information which was included in marketing materials, Personal PPI Quotes and Annual Reviews.
Articles 3.1 and 3.2
25. It was suggested that the requirement to include information about the monthly cost for every £100 of monthly benefit would not assist consumers. Similar submissions had been made during the original inquiry. We considered these submissions and saw no evidence that required us to depart from our view in the 2009 report, namely that the provision of this information to consumers would help consumers understand the price of PPI and to search more effectively for the best value policy for their protection needs when the common currency of monthly cost for every £100 of monthly benefit became standard information which was included in marketing materials, Personal PPI Quotes and Annual Reviews.
Comment