Bing v. United States

CourtUnited States Court of Federal Claims
DecidedMay 19, 2023
Docket23-231
StatusUnpublished

This text of Bing v. United States (Bing v. United States) is published on Counsel Stack Legal Research, covering United States Court of Federal Claims primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

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Bing v. United States, (uscfc 2023).

Opinion

Corrected In the United States Court of Federal Claims No. 23-231

(Filed: May 19, 2023)

(NOT TO BE PUBLISHED) ___________________________________ ) TEDDRIKA L. BING, ) ) Plaintiff, ) ) v. ) ) UNITED STATES, ) ) Defendant. ) ___________________________________ )

TedDrika L. Bing, pro se, Seabrook, S.C.1

Augustus Golden, Trial Attorney, Commercial Litigation Branch, Civil Division, United States Department of Justice, Washington, D.C., for defendant. Appearing with him on the briefs were Brian M. Boynton, Principal Deputy Assistant Attorney General, Civil Division, Patricia M. McCarthy, Director, and Franklin E. White, Jr., Assistant Director, Commercial Litigation Branch, Civil Division, United States Department of Justice, Washington, D.C.

OPINION AND ORDER

LETTOW, Senior Judge.

Ms. TedDrika L. Bing filed her complaint in this court on February 13, 2023. Compl., ECF No. 1. Ms. Bing alleges that the Navy Federal Credit Union (“NFCU”) violated the 1) Fair Credit Reporting Act (“FCRA”), 15 U.S.C. §§ 1681-1681x, the 2) Fair Credit Billing Act (“FCBA”), 15 U.S.C. §§ 1666-1666j (amending the Truth in Lending Act, 15 U.S.C. §§ 1601- 1667f),2 the 3) Fair Debt Collection Practices Act (“FDCPA”), 15 U.S.C. §§ 1692-1692p, the 4)

1 Ms. Bing’s first name is spelled “TedDrika” and “Ted’Drika” in her complaint. See Compl. at 1, ECF No. 1. Ms. Bing’s first name is also occasionally spelled “Teddrika” by the Navy Federal Credit Union (“NFCU”) in the exhibit she attaches to her complaint. See Compl. Ex. 1, at 8, ECF 1-1. The court addresses Ms. Bing as TedDrika Bing. 2The Truth in Lending Act (pursuant to which the Consumer Financial Protection Bureau issued Regulation Z) includes the Right of Recission. See 15 U.S.C. §§ 1601-1667f; 15 U.S.C. § 1635; 12 C.F.R. § 1026; see Compl. at 4. Conspiracy to Interfere with Civil Rights, 42 U.S.C. § 1985, and the statute involving 5) Conspiracy Against Rights, 18 U.S.C. § 241. Compl. at 1. She alleges five counts including 1) violation of the right of recission, 2) failure to provide notice for validation of debt,3 3) failure to correct billing errors, 4) unfair practices including conspiracy against rights, and 5) aggravated identity theft. Compl. at 4-7. Ms. Bing requests monetary damages of $50,000 and non- monetary relief. See Compl. at 9.4 She asks the court to instruct NFCU to rescind the security interest on her credit card, eliminate her credit card balance, unfreeze her debit card and the associated account and mobile app, keep the length of her credit card history on file, report to all consumer reporting agencies that her accounts are in good standing, and acknowledge its violations in writing. Compl. at 9. Finally, Ms. Bing asks the court to “[a]ward [her] relief that the court [d]eems appropriate . . . to [redress] [her] injury . . . under the FCRA, FDCPA[,] [and] FCBA” and to “prevent [additional] unlawful acts” by NFCU. See Compl. at 9. Ms. Bing filed a motion to proceed in forma pauperis with her complaint. Mot. for Leave to Proceed in Forma Pauperis, ECF No. 2. For good cause shown, the court granted Ms. Bing’s motion. Order of Feb. 17, 2023, ECF No. 7.

In response, the government has moved to dismiss Ms. Bing’s complaint pursuant to Rule 12(b)(1) of the Rules of the Court of Federal Claims (“RCFC”). Def.’s Mot. to Dismiss for Lack of Subject-Matter Jurisdiction (“Def.’s Mot. to Dismiss”), ECF No. 9. The government contends that Ms. Bing has failed to identify a jurisdictional basis for her claims. Def.’s Mot. to Dismiss at 1. Specifically, the government avers that the court lacks subject-matter jurisdiction because Ms. Bing’s complaint brings suit against NFCU, which is a private organization and “not an instrument or agency of the United States.” Id. at 1. The government also argues that the court lacks subject-matter jurisdiction over the alleged violations of criminal law, civil rights law, and statues that have their own remedial framework as well as her requests for non-monetary relief. Id. at 6-8. Ms. Bing filed her response to defendant’s motion to dismiss on May 2, 2023. Resp. to Mot. to Dismiss (“Pl.’s Resp.”), ECF No 11. The government filed its reply to Ms. Bing’s response on May 12, 2023. Def.’s Reply in Supp. of its Mot. to Dismiss for Lack of Subject- Matter Jurisdiction (“Def.’s Reply”), ECF No 12. The government’s motion to dismiss is ready for disposition.

BACKGROUND5

Ms. Bing applied for a line of credit at NFCU, which the credit union opened on June 7, 2019. Compl. at 2. It was an open-ended credit plan. Compl. at 2. On July 22, 2021, she submitted a letter of recission for that line of credit to NFCU. Compl. at 2. The Navy Federal Credit Union subsequently informed Ms. Bing of her continued responsibility to pay her debt. Compl. at 2. Ms. Bing alerted NFCU that it was ignoring her decision to rescind the line of

3 See 12 C.F.R. § 1006.34.

4In her prayer for relief, Ms. Bing asks the court to award her “[m]onetary compensation of $50,000.00[,] which is double . . . the finance charge [of] the credit card [that was] [opened] [using] [her] social security [number].” Compl. at 9. 5The recitations that follow do not constitute findings of fact but rather are recitals attendant to the pending motion and reflect matters drawn from the complaint, an exhibit attached to the complaint, and the motion to dismiss, response, and reply. 2 credit. Compl. at 2. Regardless, NFCU continued to apply late fees and interest payments to Ms. Bing’s account and did not inform credit bureaus of Ms. Bing’s decision to rescind her line of credit. Compl. at 2.

On August 24, 2021, Ms. Bing filed a complaint with the Consumer Financ ial Protection Bureau (“CFPB”). Compl. at 3. The Navy Federal Credit Union responded to Ms. Bing’s CFPB complaint stating that her decision to rescind “did not release [her] from the repayment obligations.” Compl. at 3. The Navy Federal Credit Union closed the line of credit, reporting a balance of $20,593.72. Compl. at 3. Ms. Bing then filed multiple complaints against NFCU with CFPB, the National Credit Union Administration (“NCUA”), State Attorney General, and Federal Trade Commission (“FTC”). Compl. at 3.6 During this time, Ms. Bing also asked NFCU to provide her with her “original indebtedness form” and offered to pay her balance if NFCU could provide the requested form.7 Compl. at 3. Later in 2022, NFCU denied Ms. Bing access to and froze her account,8 transferred funds to a closed account without her consent, declined a debit card transaction, withheld her 2021 state tax return, declined payments despite receiving monthly deposits, and applied late and overdraft fees to the account despite there being money in it. Compl. at 4.

In January 2023, NFCU sent “private mail publicly” that showed that Ms. Bing attempted to make or made a transfer of funds to a closed account. Compl. at 4. Ms.

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