The purpose of this
procedure
letter is to
provide guidance to
public children services
agencies
(PCSA) and private child placing agencies (PCPA) on obtaining annual
credit reports
and
resolving inaccuracies for
youth who have
attained the age of fourteen and are in
foster care per rule 5101:2-42-19 of the Administrative
Code. In accordance with the Preventing Sex Trafficking and Strengthening
Families Act and rule 5101:2-42-19 of
the Administrative Code, the custodial agency is required to request a credit
report for youth
age fourteen or older
annually from each of the three credit
reporting agencies (CRA).
This may be completed simultaneously or
separately throughout the year in order to monitor any activity. Each CRA has a different procedure for requesting a
minor’s credit report and the instructions for
each CRA are outlined in this Procedure
Letter.
Obtaining
a Youth's Credit Report
The following information must be sent to each CRA
to request the credit report:
- A copy
of the youth’s birth certificate or other legal documentation of the youth's full
name and age.
- Verification
that the agency has the legal authority to request the credit report information.
- Documentation
that the youth is in foster care (e.g. a court order or other document).
- Verification
of the identity of the requester and that he/she has the right to request a credit
report on behalf of a minor youth. This method shall be developed by the agency
(e.g., a copy of the agency ID badge).
- Address
of the agency where the credit report is to be sent.
- Other
information to assist the CRA in their search of a credit report for the youth may
include, but is not limited to: the youth's current address and any other addresses
from the past two years, nicknames, and social security number.
Instructions
for Contacting Each CRA
EQUIFAX
CRA Equifax CRA provides
access to credit report histories through the Equifax e-Port system. Each agency
is required to have a password protected profile with a primary contact person
to obtain youth credit reports through e-Port. To establish a profile,
the agency director must send the name and e-mail address for the primary contact
person (i.e., staff person who will be requesting youth credit reports) to Sonia
Tillman, Differential Response and Special Projects Manager at Sonia.Tillman@jfs.ohio.gov. |
EXPERIAN
CRA We have now established
a new electronic process with Experian CRA. You now have the option of sending
the requests via mail or electronically, as described below. Send the required information
manually by mail to: Experian National Consumer
Assistance Center PO Box 9701 Allen, Texas 75013 Experian recommends
using USPS Priority, UPS or FedEx for tracking. Sensitive information may be redacted
from the court order as long as the identification of the minor remains intact.
The CRA's response will be "No Record" or the credit report will be
sent to the requestor (agency) through regular mail. For security purposes, the
envelope will not indicate that it is from Experian. There is no charge for this
process. To sign up for Experian’s
electronic data base send your inquiry to experianfosteryouth@experian.com
and include the following information: agency name, county, contact name,
address (e-mail and regular mail), phone number, and state. Experian
will have the agency complete a membership application and sign an “Agreement for Credit Reports for Foster Youth.” Following
the approval, Experian’s Membership department will set up an online account and
contact the county’s designated contact for final installation and setup. There
is no charge for this sign up or for this service. |
TransUnion
CRA Agencies are able to
obtain credit report histories from TransUnion CRA through the TransUnion
Direct database. The agency is responsible for executing a no-cost agreement with
TransUnion for access to the system. Requests may be completed
electronically individually or by multiples (batch) of no more than 50. Contact
the individual listed below for more information on executing an agreement with
TransUnion CRA: Megan Moyer at fostercare@transunion.com or (714) 680-7268 |
RESOLVING
CREDIT REPORT INCONSISTENCIES
A minor cannot enter
into an agreement with a business, agency, or entity, and therefore should have
no record with any credit bureau unless there is an error or the child is a victim
of identity theft. If the credit report shows any irregularities or inconsistencies,
the agency should contact the Ohio Attorney General's (AGO) office to request assistance
in resolving the issue.
To make a referral to
the AGO, the agency must send copies of all information related to the credit report
including correspondence with the CRAs, a cover letter on agency letterhead, and
the completed AGO ID Theft Affidavit (see attachment) including the youth’s signature
attesting that to the best of his or her knowledge the accounts were not opened
by him or her to:
Ohio Attorney General
Identity Theft Unit
30 E. Broad Street, 14th
Floor
Columbus, OH 43215
https://www.ohioattorneygeneral.gov/
INSTRUCTIONS:
The following chart depicts
what materials should be deleted from the Family, Children and Adult Services Manual
(FCASM) and what materials should be inserted in the FCASM.
LOCATION
| REMOVE AND FILE AS OBSOLETE |
INSERT/REPLACE
|
Procedure Letters
|
FCASPL No. 298
|
FCSAPL No. 330
|
Attachment: AGO ID Theft Affidavit