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BoA overdraft fees and the CFPB 2023 order โ€” Houston, TX 2026 guide

By Pablo Diaz ยท I left BoA after years as a customer. Read the full story โ†’

Auditing your bank's fee schedule is not glamorous work, but it is one of the highest-ROI hours a small business operator in Houston can spend. This page is the BoA-specific version of that audit.

Overdraft fees and the CFPB 2023 order

Bank of America overdraft fees were the subject of the 2023 CFPB enforcement order, which cited Bank of America for double-charging overdraft fees and ordered $250M total in penalties and restitution. The current BoA overdraft schedule is published on their fee disclosure page. For a Houston business, the practical takeaway is twofold: (1) verify your current overdraft posture matches what BoA represents, and (2) if you have historical overdraft charges that look stacked, file a CFPB complaint with documentation. CFPB 2023 order: https://www.consumerfinance.gov/about-us/newsroom/cfpb-orders-bank-of-america-to-pay-150-million-penalty-for-illegally-charging-junk-fees-withholding-credit-card-rewards-and-opening-fake-accounts/. CFPB complaint database: https://www.consumerfinance.gov/data-research/consumer-complaints/search/?company=BANK%20OF%20AMERICA%2C%20NATIONAL%20ASSOCIATION.

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Houston context

Houston sits in houston-metro, where business banking customers tend to evaluate fees against alternatives that have shifted toward zero-monthly-fee structures. The BoA picture below is the comparison baseline.

Public regulator record on BoA fees

If you want to dispute a BoA fee in Houston

  1. Pull the statement showing the fee. Screenshot it.
  2. Compare against BoA's published fee schedule. If it does not match, document the discrepancy.
  3. Request a written explanation through BoA secure message. Save the response.
  4. If the explanation is unsatisfactory, file a CFPB complaint at consumerfinance.gov/complaint with the documentation. Free, public, and tends to get a documented response.
  5. For overdraft-fee disputes specifically: reference the CFPB 2023 order in your complaint if your situation matches the practices it cited.

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