Information for lenders and brokers affected by our work on the use of commission in the motor finance industry.
Compensation scheme consultation
We're consulting on introducing an industry-wide compensation scheme for motor finance customers. We've extended the deadline for comments on this consultation from 18 November 2025 to 12 December 2025, and we plan to publish final rules in early 2026.
Have your say on the consultation
We also consulted on further extending the deadline for firms to respond to motor finance complaints, and we published our final rules on 3 December 2025.
We've written to lenders and brokers (PDF) with our expectations of the actions your firm should take now.
We previously extended the time firms have to send customers final responses for motor finance commission complaints to 4 December 2025.
Following our consultation, we've now further extended the time to 31 May 2026.
Complaints about leasing agreements are excluded from the extension. This means that firms will need to start sending final responses to complaints about leasing agreements from 5 December 2025.
The main changes we've made to existing complaint handling rules are:
- Requiring firms to start sending final responses to complaints about leasing agreements from 5 December 2025.
- Extending the time firms have to send final responses to all other motor finance DCA complaints and non-DCA commission complaints until 31 May 2026.
- Consumers who are sent a final response on or after 30 January 2026, will have 6 months to refer their complaint to the Financial Ombudsman Service.
- Firms will have to maintain and preserve records that are or could be relevant to the handling of existing or future motor finance complaints or civil claims for non-DCA commission.
Where you have previously rejected complaints because they didn't involve a DCA, we expect you to allow consumers to make a new complaint about commission.
You should use the additional time provided to make sure you have the resources to investigate and issue final responses to complaints at the end of the proposed extension. You should also consider whether to make any financial provisions.
What you need to do
If your firm is affected by these changes, you must ensure that you comply with the rules in Appendix 5 of the Dispute Resolution: Complaints Sourcebook (DISP App 5) that are relevant to your business.