BSI Financial Holdings, Inc.
Ranked #46 of 76 by complaint volume · 1,243 complaints · 99.7% timely response
Contact BSI Financial
Contact information verified 2026-03-16. If any details have changed, file a CFPB complaint if your servicer is unreachable.
How BSI Financial Holdings, Inc. Compares
BSI Financial Holdings, Inc.'s timely response rate of 99.7% is above the 99% average across the 76 largest servicers. Their most common complaint category — "Trouble during payment process" at 68.9% — matches the industry-wide pattern, with a higher concentration than the 39.8% servicer average. Complaint volume rose 16% between 2024 and 2025.
No formal CFPB enforcement actions are on record, though 1,243 complaints remain. Ranked #46 by complaint volume and #18 for timely response rate out of the 76 largest mortgage servicers tracked by American Default.
What Borrowers Complain About
BSI Financial Holdings, Inc. borrowers' most common complaint category is "Trouble during payment process" at 68.9% of all complaints, followed by "Struggling to pay mortgage" at 18.3%. The three most cited specific problems are: "escrow, taxes, or insurance" (6%), "trying to communicate with the company to fix an issue while managing or servicing your loan" (5%), "trying to communicate with the company to fix an issue related to modification, forbearance, short sale, deed-in-lieu, bankruptcy, or foreclosure" (3.5%).
The third most common category is "Closing on a mortgage" at 4.6%, representing 57 complaints.
Other frequently cited problems include "payment process" (3.2%) and "account status incorrect" (2.2%).
Complaint volume has fluctuated: 2022: 325, 2023: 225, 2024: 134, 2025: 155.
Most complaints involve conventional home mortgage mortgages (60.3%), followed by fha mortgage (19%).
BSI Financial Holdings, Inc.'s consumer dispute rate of 0% is below the 8.7% industry average.
Complaints are geographically concentrated: California (199), Texas (124), and Georgia (81) account for 33% of all complaints, suggesting heavy market presence in these states.
Complaint Volume Over Time
Annual CFPB complaint volume for BSI Financial Holdings, Inc. from 2012 to present.
Recent Monthly Trend
Monthly complaint volume over the last 24 months.
Top Complaint Issues
| Issue | Count | Share |
|---|---|---|
| Trouble during payment process | 856 | 68.9% |
| Struggling to pay mortgage | 228 | 18.3% |
| Closing on a mortgage | 57 | 4.6% |
| Applying for a mortgage or refinancing an existing mortgage | 47 | 3.8% |
| Incorrect information on your report | 44 | 3.5% |
| Problem with a company's investigation into an existing problem | 8 | 0.6% |
| Improper use of your report | 2 | 0.2% |
| Problem with a credit reporting company's investigation into an existing problem | 1 | 0.1% |
How BSI Financial Holdings, Inc. Responds
BSI Financial Holdings, Inc. closes 99.7% of complaints with an explanation — meaning they responded but did not necessarily fix the borrower's issue. Only 0.1% of complaints resulted in monetary relief to the borrower. Borrowers disputed 0% of responses, below the 8.7% industry average.
| Response Type | Count | Share |
|---|---|---|
| Closed with explanation | 1,239 | 99.7% |
| In progress | 3 | 0.2% |
| Closed with monetary relief Consumer got money | 1 | 0.1% |
Top States by Complaint Volume
View all 51 states
| State | Complaints |
|---|---|
| CA | 199 |
| TX | 124 |
| GA | 81 |
| FL | 72 |
| CO | 61 |
| NC | 50 |
| NJ | 49 |
| PA | 43 |
| NY | 38 |
| MD | 36 |
| VA | 35 |
| WA | 34 |
| OR | 32 |
| IL | 32 |
| AZ | 31 |
| SC | 28 |
| OH | 26 |
| MA | 20 |
| TN | 20 |
| WI | 18 |
| MI | 18 |
| CT | 16 |
| LA | 15 |
| NV | 15 |
| MN | 14 |
| IN | 12 |
| OK | 12 |
| KS | 12 |
| UT | 11 |
| AL | 10 |
| MO | 9 |
| DC | 7 |
| MT | 7 |
| ID | 6 |
| KY | 5 |
| DE | 4 |
| HI | 4 |
| NE | 3 |
| MS | 3 |
| WV | 3 |
| NM | 3 |
| AE | 2 |
| ME | 2 |
| WY | 2 |
| AR | 2 |
| NH | 2 |
| AK | 2 |
| VT | 1 |
| VI | 1 |
| ND | 1 |
| MP | 1 |
BSI Financial Holdings, Inc.'s complaints concentrate in California (199), Texas (124), and Georgia (81). These three states account for 33% of all complaints, suggesting heavy market presence in these regions. If you're dealing with BSI Financial Holdings, Inc. in one of these states, check your state's foreclosure laws — protections vary significantly.
Enforcement Record
BSI Financial Holdings, Inc. has not been subject to formal CFPB enforcement action. 1,243 complaints are on file since 2012, one of the smaller complaint footprints among the top 76 servicers.
Filing a CFPB complaint remains the most effective individual action — BSI Financial Holdings, Inc. responds to 99.7% of complaints within the required timeframe.
Legal History
No notable enforcement actions or legal settlements on public record for BSI Financial.
Search BSI Financial Holdings, Inc. Complaints
Browse the 500 most recent complaints filed against BSI Financial Holdings, Inc.. Filter by issue type, state, date range, or keyword. Try filtering by "Trouble during payment process" — it represents 68.9% of all complaints. Most complaints originate from California.
Know Your Rights with BSI Financial Holdings, Inc.
File a CFPB Complaint
If BSI Financial Holdings, Inc. is mishandling your mortgage, file a complaint with the CFPB. BSI Financial Holdings, Inc. currently responds to 99.7% of complaints on time, ranking #18 of 76 servicers.
Send a Qualified Written Request
Under RESPA § 6, you can demand BSI Financial Holdings, Inc. provide written answers about your account. Given their high rate of payment processing complaints, request a complete payment application history. Response deadline: 30 business days.
Get Free Housing Counseling
A HUD-approved housing counselor can review BSI Financial Holdings, Inc.'s actions on your account, help you negotiate, and guide loss mitigation options — at no cost. If you're in California (their highest complaint state), <a href="/directory/california/">find local help</a>.
Find Legal Aid
If BSI Financial Holdings, Inc. is violating federal servicing rules, a legal aid attorney may represent you for free. Document all communication — 1,243 complaints show you're not alone.
Take Action: Send a Formal Letter to BSI Financial Holdings, Inc.
68.9% of complaints against BSI Financial Holdings, Inc. involve payment processing problems — misapplied payments, escrow errors, and billing disputes. If your servicer is mishandling your payments, a Qualified Written Request or Notice of Error forces a written response within 30 business days. These letters carry legal deadlines your servicer cannot ignore.
Fill in the brackets, and send via certified mail with return receipt requested.
▼
Legal Basis
Real Estate Settlement Procedures Act (RESPA), 12 U.S.C. § 2605(e)
Implementing Regulation: 12 CFR § 1024.35 and § 1024.36
A Qualified Written Request is a formal written correspondence to your mortgage servicer requesting account information or disputing charges. Under federal law, your servicer must acknowledge receipt within 5 business days and provide a substantive response within 30 business days (may be extended to 45 with notice).
When to Use This Letter
- Your servicer applied a payment incorrectly
- You were charged fees you don't recognize
- Your escrow account balance seems wrong
- You need a complete payment history
- Your servicer transferred your loan and the new servicer's records don't match
- You want to understand how payments have been applied
Important Requirements
Template Letter
[YOUR NAME] [YOUR ADDRESS] [CITY, STATE ZIP] [DATE] VIA CERTIFIED MAIL, RETURN RECEIPT REQUESTED BSI Financial Holdings, Inc. BSI Financial Services, Attn: Qualified Written Requests, PO Box 517, 314 S. Franklin Street, Titusville, PA 16354 Re: Qualified Written Request Under RESPA Loan Number: [LOAN NUMBER] Property Address: [PROPERTY ADDRESS] Dear Sir or Madam: This is a Qualified Written Request under Section 6 of the Real Estate Settlement Procedures Act (12 U.S.C. § 2605(e)). I am writing to request the following information regarding the above-referenced mortgage account: 1. [DESCRIBE SPECIFIC REQUEST — for example: "A complete payment history from [DATE] to the present, showing how each payment was applied to principal, interest, escrow, fees, and any suspense account."] 2. [DESCRIBE ADDITIONAL REQUEST — for example: "An explanation of all fees charged to this account since [DATE], including the basis for each charge."] 3. [DESCRIBE ADDITIONAL REQUEST — for example: "The current escrow account balance and a copy of the most recent escrow analysis."] [IF DISPUTING AN ERROR, ADD:] I believe there is an error on my account. Specifically, [DESCRIBE THE ERROR — for example: "My payment of $[AMOUNT] made on [DATE] was not properly credited to my account" or "I was charged a late fee of $[AMOUNT] on [DATE] despite making my payment on time"]. Under RESPA, you must acknowledge receipt of this request within 5 business days and provide a complete response within 30 business days of receipt. During the investigation, you may not report negative information to credit bureaus related to the matters raised in this letter. Please send your response to the address listed above. Sincerely, [YOUR SIGNATURE] [YOUR PRINTED NAME]
Response Deadlines
| Requirement | Deadline |
|---|---|
| Acknowledge receipt | 5 business days |
| Substantive response | 30 business days (extendable to 45 with written notice) |
If Your Servicer Does Not Respond
▼
Legal Basis
Regulation X (RESPA), 12 CFR § 1024.35
Real Estate Settlement Procedures Act, 12 U.S.C. § 2605(e)
A Notice of Error is a formal written notice to your mortgage servicer asserting that an error has occurred on your account. Under federal law, your servicer must acknowledge receipt within 5 business days and either correct the error or explain why it believes no error occurred within 30 business days (extendable to 45 with written notice).
During the investigation, your servicer generally may not report negative credit information related to the alleged error.
Covered Error Categories (11 Types)
Federal regulation identifies 11 specific categories of errors. Your Notice of Error should reference the applicable category:
When to Use This Letter
- Your payment was applied incorrectly or to the wrong account
- You were charged a late fee despite paying on time
- Your servicer failed to pay your property taxes or insurance from escrow
- You received an incorrect payoff statement
- Your servicer started foreclosure before the 120-day waiting period
- Your servicer is pursuing foreclosure while reviewing your loss mitigation application (dual tracking)
- Your servicer transferred your loan but lost or garbled the records
Important Requirements
Template Letter
[YOUR NAME] [YOUR ADDRESS] [CITY, STATE ZIP] [DATE] VIA CERTIFIED MAIL, RETURN RECEIPT REQUESTED BSI Financial Holdings, Inc. BSI Financial Services, Attn: Qualified Written Requests, PO Box 517, 314 S. Franklin Street, Titusville, PA 16354 Re: Notice of Error Under 12 CFR § 1024.35 Loan Number: [LOAN NUMBER] Property Address: [PROPERTY ADDRESS] Dear Sir or Madam: This is a Notice of Error under 12 CFR § 1024.35 of Regulation X (RESPA). Description of Error: I believe the following error has occurred on the above-referenced mortgage account: [DESCRIBE THE ERROR IN DETAIL — for example:] [Option A — Misapplied payment:] "On [DATE], I made a mortgage payment of $[AMOUNT] via [METHOD — check #/online payment/wire]. This payment was [not credited to my account / credited late / applied to fees instead of principal and interest]. I have enclosed [a copy of my bank statement / payment confirmation / canceled check] showing the payment was made on time." [Option B — Improper fee:] "On [DATE], a [late fee / inspection fee / property preservation fee / attorney fee] of $[AMOUNT] was charged to my account. This fee is incorrect because [I made my payment on time / this fee was not authorized / I was not given proper notice of this charge]." [Option C — Escrow error:] "My servicer failed to [pay my property taxes / pay my homeowner's insurance / provide an accurate escrow analysis]. As a result, [my taxes are delinquent / my insurance lapsed / my escrow payment increased by $[AMOUNT] without proper basis]." [Option D — Dual tracking:] "I submitted a complete loss mitigation application on [DATE]. Despite this pending application, my servicer [filed a foreclosure notice on [DATE] / scheduled a foreclosure sale for [DATE] / moved for foreclosure judgment on [DATE]]. This violates the dual tracking prohibition under 12 CFR § 1024.41(g)." This error falls under 12 CFR § 1024.35(b)([NUMBER]) — [CATEGORY NAME FROM LIST ABOVE]. Requested Correction: I request that you [correct the payment application / remove the improper fee / pay the escrow shortage / halt foreclosure proceedings] and provide me with a corrected account history. Under 12 CFR § 1024.35(e), you must acknowledge receipt of this Notice within 5 business days and either correct the error or provide a written explanation of why you believe no error occurred within 30 business days. During this investigation, you may not charge me for responding to this notice, and you generally may not report negative information to credit bureaus related to the matters in this notice. Please send your response to the address listed above. Sincerely, [YOUR SIGNATURE] [YOUR PRINTED NAME] Enclosures: - [List any documents you are including — bank statements, payment confirmations, prior correspondence, etc.]
Response Deadlines
| Requirement | Deadline |
|---|---|
| Acknowledge receipt | 5 business days |
| Correct error or explain denial | 30 business days (extendable to 45 with notice) |
| Credit reporting restriction | During investigation period |
If Your Servicer Does Not Respond
▼
Legal Basis
Regulation X (RESPA), 12 CFR § 1024.36
Real Estate Settlement Procedures Act, 12 U.S.C. § 2605(e)
A Request for Information is a formal written request to your mortgage servicer for specific account information. Under federal law, your servicer must acknowledge receipt within 5 business days and provide the requested information within 30 business days (extendable to 45 with written notice).
An RFI differs from a Notice of Error. A Notice of Error asserts something is wrong and demands correction. A Request for Information asks the servicer to provide specific account data — you may not yet know whether there's an error. Both carry the same legal weight and response deadlines.
Types of Information You Can Request
- Complete payment history (how each payment was applied)
- Current loan balance and payoff amount
- Escrow account analysis and balance
- Loss mitigation application status
- Identity of the owner or assignee of the loan (who holds your mortgage)
- Identity of the master servicer (if different from your servicer)
- Information about fees or charges assessed to your account
- Information regarding a transfer or sale of the loan
- Insurance or tax payment history from escrow
When to Use This Letter
- You want a full accounting of how your payments have been applied
- You need to know who actually owns your mortgage loan
- You're preparing for a loss mitigation application and need current figures
- Your servicer changed and you need to verify account information transferred correctly
- You want to understand your escrow account before challenging a payment increase
- You're preparing to refinance and need accurate account records
- You suspect errors but need account data before you can identify them
Important Requirements
Template Letter
[YOUR NAME] [YOUR ADDRESS] [CITY, STATE ZIP] [DATE] VIA CERTIFIED MAIL, RETURN RECEIPT REQUESTED BSI Financial Holdings, Inc. BSI Financial Services, Attn: Qualified Written Requests, PO Box 517, 314 S. Franklin Street, Titusville, PA 16354 Re: Request for Information Under 12 CFR § 1024.36 Loan Number: [LOAN NUMBER] Property Address: [PROPERTY ADDRESS] Dear Sir or Madam: This is a Request for Information under 12 CFR § 1024.36 of Regulation X (RESPA). I am requesting the following information regarding the above-referenced mortgage account: 1. Payment History: A complete payment history from [START DATE] to the present, showing for each payment received: the date received, the amount, and how the payment was applied (principal, interest, escrow, fees, suspense, or other). 2. Current Account Status: The current principal balance, interest rate, next payment due date, and any past-due amounts including a breakdown of principal, interest, escrow, fees, and any other charges. 3. Escrow Analysis: The current escrow account balance, an itemized list of all escrow disbursements in the past 12 months (property taxes, homeowner's insurance, PMI, other), and the most recent annual escrow analysis statement. 4. Loss Mitigation Status: [IF APPLICABLE] The current status of my loss mitigation application submitted on [DATE], including what documents have been received, what documents are still needed, and the expected timeline for a decision. 5. Loan Ownership: The name, address, and telephone number of the current owner or assignee of the mortgage loan. [ADD OR REMOVE ITEMS AS NEEDED FOR YOUR SITUATION] Under 12 CFR § 1024.36(d), you must acknowledge receipt of this request within 5 business days and provide the requested information within 30 business days. You may not charge me a fee for responding to this request. Please send your response to the address listed above. Sincerely, [YOUR SIGNATURE] [YOUR PRINTED NAME]
Response Deadlines
| Requirement | Deadline |
|---|---|
| Acknowledge receipt | 5 business days |
| Provide requested information | 30 business days (extendable to 45 with notice) |
After You Receive a Response
If Your Servicer Does Not Respond
▼
Legal Basis
Regulation X (RESPA), 12 CFR § 1024.41(g)
Real Estate Settlement Procedures Act, 12 U.S.C. § 2605
CFPB Mortgage Servicing Rules (2014, amended 2016)
"Dual tracking" is when a mortgage servicer pursues foreclosure while simultaneously reviewing a borrower's loss mitigation application. Federal law prohibits this practice. If you submitted a complete loss mitigation application more than 37 days before a scheduled foreclosure sale, your servicer:
When to Use This Letter
- You submitted a complete loss mitigation application but your servicer filed a foreclosure notice
- You received a foreclosure sale date while your loan modification application is pending
- Your servicer is proceeding with foreclosure despite acknowledging receipt of your application
- Your servicer denied your application without reviewing all available options
- Your servicer denied your application without providing specific reasons or appeal information
Key Timing Rules
| Rule | Citation | Requirement |
|---|---|---|
| 120-day pre-foreclosure period | § 1024.41(f) | Servicer cannot make first foreclosure filing until 120 days after first missed payment |
| 37-day protection window | § 1024.41(g) | Complete application received ≥37 days before sale date triggers full dual tracking protection |
| 30-day evaluation deadline | § 1024.41(c) | Servicer must evaluate complete application within 30 days of receipt |
Important Requirements
Template Letter
[YOUR NAME] [YOUR ADDRESS] [CITY, STATE ZIP] [DATE] VIA CERTIFIED MAIL, RETURN RECEIPT REQUESTED AND VIA FAX TO: [SERVICER FAX NUMBER] BSI Financial Holdings, Inc. [SERVICER LOSS MITIGATION DEPARTMENT ADDRESS] [CITY, STATE ZIP] Re: Demand to Halt Foreclosure — Dual Tracking Violation 12 CFR § 1024.41(g) Loan Number: [LOAN NUMBER] Property Address: [PROPERTY ADDRESS] Dear Sir or Madam: I am writing to demand that you immediately halt all foreclosure proceedings on the above-referenced property. Your continued pursuit of foreclosure while my loss mitigation application is pending violates the dual tracking prohibition under 12 CFR § 1024.41(g). Timeline of Events: - [DATE]: I submitted a complete loss mitigation application to BSI Financial Holdings, Inc. via [METHOD — certified mail / fax / online portal / in person]. - [DATE]: [IF APPLICABLE] I received acknowledgment of my application from BSI Financial Holdings, Inc.. - [DATE]: [IF APPLICABLE] I submitted additional documents requested by BSI Financial Holdings, Inc., completing my application. - [DATE]: Despite my pending application, BSI Financial Holdings, Inc. [filed a foreclosure notice / scheduled a foreclosure sale for [SALE DATE] / moved for foreclosure judgment / took the following foreclosure action: DESCRIBE]. Legal Violations: 1. Under 12 CFR § 1024.41(g), a servicer may not move for foreclosure judgment or order of sale, or conduct a foreclosure sale, if a borrower submits a complete loss mitigation application more than 37 days before any reasonably anticipated sale date. My application was submitted on [DATE], which is more than 37 days before the [scheduled sale date / anticipated sale date]. 2. [IF APPLICABLE] Under 12 CFR § 1024.41(c), you were required to evaluate my complete application within 30 days of receipt. As of this letter, [NUMBER] days have passed and I have not received a determination. [OR: I received a denial that did not comply with § 1024.41(d) because it failed to (state specific reasons / identify all options evaluated / provide appeal information).] Demands: 1. Immediately halt all foreclosure proceedings, including canceling any scheduled sale dates. 2. Evaluate my complete loss mitigation application for all available options within 30 days as required by 12 CFR § 1024.41(c). 3. Provide a written determination that complies with 12 CFR § 1024.41(d), including specific reasons for any denial and information about how to appeal. Notice: If you fail to comply with these demands, I intend to file a complaint with the Consumer Financial Protection Bureau and consult with a consumer rights attorney regarding RESPA violations, including actual damages, statutory damages, and attorney's fees under 12 U.S.C. § 2605(f). Sincerely, [YOUR SIGNATURE] [YOUR PRINTED NAME] Enclosures: - Copy of loss mitigation application (or acknowledgment letter) - Proof of submission date (certified mail receipt, fax confirmation, portal screenshot) - Copy of foreclosure notice or sale date notice - [Any other relevant correspondence]
Immediate Next Steps
This is an urgent situation. In addition to sending this letter:
Damages for Dual Tracking Violations
Under 12 U.S.C. § 2605(f), a servicer that violates RESPA may be liable for:
▼
What Is a CFPB Complaint?
The Consumer Financial Protection Bureau (CFPB) accepts and tracks complaints about mortgage servicers, banks, and other financial companies. When you file a complaint, the CFPB forwards it to your servicer, which must respond within 15 days. The CFPB publishes complaint data in a public database — the same data powering the servicer complaint records on this site.
Filing a CFPB complaint is free and does not require an attorney.
When to File
- Your servicer is not responding to phone calls or written requests
- You sent a Qualified Written Request or Notice of Error and received no response within 30 days
- Your servicer is pursuing foreclosure while reviewing your loss mitigation application (dual tracking)
- Your servicer charged fees you believe are improper
- Your servicer misapplied your payments
- Your servicer failed to pay taxes or insurance from your escrow account
- Your loan was transferred and the new servicer's records are wrong
- Your servicer denied your loan modification without a clear explanation
Step-by-Step Guide
### Step 1: Gather Your Documents
Before you start, collect:
### Step 2: Go to the CFPB Complaint Portal
Visit consumerfinance.gov/complaint.
Click "Submit a complaint."
### Step 3: Select the Product Type
Choose "Mortgage" from the product list.
You'll then select a sub-product:
### Step 4: Select the Issue
Common mortgage servicing issues:
| Issue Category | When to Select | | Trouble during payment process | Payments misapplied, not credited, or credited late | | Struggling to pay mortgage | Loss mitigation, forbearance, or modification problems | | Applying for a mortgage or refinancing | Problems during the application process | | Closing on a mortgage | Issues with settlement, fees at closing |After selecting the main issue, you'll see sub-issues. Pick the one that best matches your situation.
### Step 5: Describe Your Issue
This is the most important part. Write a clear, factual narrative that includes:
Example narrative:
> "On January 15, 2026, I submitted a complete loss mitigation application to [Servicer Name] via certified mail (tracking #[NUMBER]). On February 5, 2026, I received acknowledgment of my application. Despite this pending application, on February 20, 2026, I received a Notice of Foreclosure Sale scheduling a sale for March 25, 2026. I sent a demand letter on February 22 citing the dual tracking prohibition under 12 CFR § 1024.41(g). I have not received a response. I am requesting that the servicer halt foreclosure proceedings and evaluate my loss mitigation application as required by federal law."
Tips for a strong narrative:
- Stick to facts — avoid emotional language
- Include dates and specific dollar amounts
- Reference federal regulations if applicable (RESPA, Regulation X)
- State what resolution you want (account correction, fee removal, foreclosure halt, etc.)
- Mention if you've sent formal letters (QWR, Notice of Error) and the dates
### Step 6: Name the Company
Search for and select your mortgage servicer. Make sure you select the correct company — some servicers have similar names or parent companies.
### Step 7: Add Your Personal Information
Provide your name, address, email, and phone number. This information is shared with the servicer so they can locate your account and respond.
### Step 8: Review and Submit
Review everything for accuracy. Once submitted, you'll receive a confirmation number. Save this number.
| Issue Category | When to Select |
|---|---|
| Trouble during payment process | Payments misapplied, not credited, or credited late |
| Struggling to pay mortgage | Loss mitigation, forbearance, or modification problems |
| Applying for a mortgage or refinancing | Problems during the application process |
| Closing on a mortgage | Issues with settlement, fees at closing |
What Happens After You File
You can check the status of your complaint at any time by logging into the CFPB complaint portal.
| Timeline | What Happens |
|---|---|
| Immediately | You receive a confirmation number and email |
| Within 15 days | The CFPB forwards your complaint to the servicer, which must respond |
| 15-60 days | The servicer provides a response through the CFPB portal |
| After response | You can review the response and indicate whether you're satisfied |
| 60+ days | If the servicer hasn't responded, the CFPB follows up |
If the Response Is Unsatisfactory
Strengthening Your Complaint
Your CFPB complaint is stronger when paired with formal demand letters:
Send these letters first, then reference them in your CFPB complaint. A servicer that failed to respond to a formal QWR or Notice of Error has committed a RESPA violation — noting this in your complaint adds legal weight.
Important Notes
These templates are informational tools, not legal advice. If you're facing foreclosure or have complex legal questions, consult a legal aid attorney or HUD-approved housing counselor.
Disclaimer: Complaint counts reflect consumer-reported issues submitted to the CFPB and do not indicate wrongdoing. This data is provided for informational purposes only and should not be construed as legal or financial advice. Complaint volume correlates with servicer size — larger servicers with more customers naturally receive more complaints.
Frequently Asked Questions
How many complaints does BSI Financial Holdings, Inc. have?
BSI Financial Holdings, Inc. has 1,243 mortgage-related complaints in the CFPB database since 2012, ranking #46 out of the top 76 mortgage servicers by complaint volume. Their timely response rate is 99.7%, which is above the 99% average across the 76 largest servicers. Complaint volume rose 16% between 2024 and 2025.
What is the most common complaint about BSI Financial Holdings, Inc.?
The most common complaint category is "Trouble during payment process" at 68.9% of all complaints — payment processing problems — misapplied payments, escrow calculation errors, and billing disputes. Borrowers report payments credited late or to the wrong account, escrow shortages they weren't notified about, and unexplained fee charges. The most frequently cited specific problem is "escrow, taxes, or insurance" (6% of complaints). The second most common category is "Struggling to pay mortgage" at 18.3%.
Has BSI Financial Holdings, Inc. faced any CFPB enforcement actions?
No, BSI Financial Holdings, Inc. has not faced any CFPB enforcement actions related to mortgage servicing as of 2026. However, 1,243 complaints are on file — ranking #46 by volume among the 76 largest servicers. Filing a CFPB complaint at consumerfinance.gov/complaint remains the most effective individual recourse, as the CFPB requires a response within 15 days.
How do I file a complaint against BSI Financial Holdings, Inc.?
File at consumerfinance.gov/complaint. Select "Mortgage" as the product type and name BSI Financial Holdings, Inc. as the company. Select "Conventional home mortgage" as the sub-product — 60.3% of complaints against BSI Financial Holdings, Inc. fall in this category. Describe your issue in detail — include dates, account numbers, and any written correspondence. The CFPB forwards your complaint to BSI Financial Holdings, Inc., which must respond within 15 days. You can also send a Qualified Written Request (QWR) under RESPA § 6 directly to the servicer, which carries a separate 30-business-day legal deadline.
What does the timely response rate mean for BSI Financial Holdings, Inc.?
The 99.7% timely response rate means BSI Financial Holdings, Inc. responded to that share of complaints within the CFPB's 15-day window, ranking #18 of 76 servicers. The industry average is 99%. "Closed with explanation" — the most common outcome at 99.7% — means the servicer responded but did not necessarily resolve the borrower's issue.
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