What is the address for the California Commissioner of Financial Protection and Innovation, the Franchise Administrator for Chesters?
Chesters Franchise · 2025 FDDAnswer from 2025 FDD Document
| State | Franchise Administrator | Agent for Service of Process |
|---|---|---|
| California | Commissioner of Financial Protection | Commissioner of Financial Protection and |
| and Innovation | Innovation | |
| Department of Financial Protection and | Department of Financial Protection and | |
| Innovation | Innovation | |
| 320 West 4th Street, Suite 750 | 320 West 4th Street, Suite 750 | |
| Los Angeles, California 90013 | Los Angeles, California 90013 | |
| (213) 576-7505 or (866) 275-2677 | (213) 576-7505 or (866) 275-2677 | |
| Website: http://www.dfpi.ca.gov/ | Website: http://www.dfpi.ca.gov/ | |
| Email: Ask.DFPI@dfpi.ca.gov | Email: Ask.DFPI@dfpi.ca.gov |
Source: Item 23 — **RECEIPTS (FDD pages 48–197)
What This Means (2025 FDD)
According to Chesters's 2025 Franchise Disclosure Document, the Franchise Administrator in California is the Commissioner of Financial Protection and Innovation, located within the Department of Financial Protection and Innovation. The address for the Commissioner is 320 West 4th Street, Suite 750, Los Angeles, California 90013. This information is crucial for any prospective Chesters franchisee in California who may need to contact the state agency for regulatory or compliance matters.
This contact information is essential for addressing concerns about the franchise offering, filing complaints, or seeking clarification on franchise regulations specific to California. The FDD also provides a phone number, (213) 576-7505 or (866) 275-2677, and a website, http://www.dfpi.ca.gov/, and email, Ask.DFPI@dfpi.ca.gov, for additional access to the Commissioner's office.
It is typical for FDDs to include contact information for state franchise regulators, as franchise laws vary significantly from state to state. This ensures that franchisees have access to the resources they need to understand their rights and obligations under both the franchise agreement and state law. The inclusion of this information underscores Chesters's compliance with franchise disclosure requirements and provides transparency for potential franchisees.