Summary: The Ninth Circuit has opined, again, on whether a statutory violation of the Fair Credit Reporting Act ("FCRA") – by itself – constitutes a concrete injury for Article III standing purposes. The court held that in certain circumstances, an alleged violation of a consumer's statutory rights under FCRA, alone, is sufficient to establish a concrete harm for purposes of Article III standing. The court ruled that in evaluating whether a claim of harm is sufficiently concrete to establish Article III standing, it must determine: (1) whether the statutory provisions at issue were established to protect concrete interests (as opposed to purely procedural rights), and if so, (2) whether the specific procedural violations alleged actually harm, or present a material risk of harm to, such interests. |
Impact(s): FCRA compliance – for general legal review |