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Challenges with Technology

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Overdraft Privilege. If advertisement promotes overdraft service, it must also disclose. Fee or fees for overdraft. Categories of transactions for which fees imposed ... – PowerPoint PPT presentation

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Title: Challenges with Technology


1
Challenges with Technology Compliance
  • Presented by
  • Sean J. Kulczycki, CRCM
  • Principal
  • September 13, 2007

2
Agenda
  • Regulations on E-Banking
  • E-Sign Act
  • Online Loan Applications
  • Opening Accounts Online
  • Online Statements
  • Website Compliance
  • New Payment Methods
  • Electronic Check Conversion

3
Regulations on E-BankingWhats the Scoop?
  • Many of the requirements currently listed within
    the
  • regulations are not actual requirements
  • March 30, 2001 Federal Reserve issued Interim
    Final Rules Amending Regulations B, E, M, Z and
    DD
  • August 2, 2001 Federal Reserve lifted mandatory
    compliance dates
  • April 30, 2007 Federal Reserve proposed
    withdrawing interim final rules

4
Regulations on E-BankingWhere Does that Leave Us?
  • Okay to rely on interim final rules
  • Otherwise, rely on regulations as they were prior
    to 3/30/01 Interim Final Rule!
  • Good idea to rely on proposed guidance now

5
E-Sign ActConsumer Consent Provisions
  • Section 101(c) of the E-Sign Act allows
    disclosures
  • required to be in writing to be provided
    electronically
  • if
  • The consumer has affirmatively consented to such
    use and has not withdrawn such consent
  • The consumer, prior to consenting, is provided
    with a clear and conspicuous disclosure statement
    that meets the following requirements

6
E-Sign ActClear and Conspicuous Statement
  • Statement must
  • Inform consumer of any right to have the record
    provided or made available in non-electronic form
  • Inform consumer of their right to withdraw
    consent and of any conditions, consequences or
    fees in the event of such withdrawal

7
E-Sign ActClear and Conspicuous Statement
  • Inform consumer of whether the consent applies
    only to
  • The particular transaction that gave rise to the
    obligation to provide the record
  • To identified categories of records that may be
    provided or made available during the course of
    the parties relationship

8
E-Sign ActClear and Conspicuous Statement
  • Describe procedures the consumer must use to
    withdraw consent and to update information needed
    to contact the consumer electronically
  • Inform consumer how they may obtain a paper copy
    of an electronic record after consent and whether
    any fee will be charged for such copy

9
E-Sign ActStatement of Hardware and Software
  • Consumer must also be provided with a statement
    of the hardware and software requirements for
    access to and retention of the electronic records

10
E-Sign ActConfirmation of Consent
  • Consumer must consent electronically, or confirm
    consent electronically in a manner that
    reasonably demonstrates the consumer can access
    information in the electronic form that will be
    used to provide the information that is the
    subject of the consent

11
Online Loan Applications Home Equity Lines of
Credit (HELOC)
  • If an application for a HELOC is provided
    on-line,
  • the following additional disclosures must also be
    provided
  • Application disclosure
  • Home equity brochure (Youre Home Is On the
    Line)

E-Sign disclosures not required
12
Online Loan Applications Providing HELOC
Disclosures
  • Recent proposed guidance from the FRB indicates
    that banks have flexibility in providing
    disclosures and provides the following example
    methods
  • Automatically appear on screen
  • Appear elsewhere on the page if a clear
    reference is made
  • Provide link to disclosures if it cannot be
    by-passed

13
Online Loan Applications General Purpose
Applications (For HELOCs)
  • The Commentary to Section 226.5b(b) of Regulation
    Z states that the disclosure and brochure need
    not be provided if a general purpose application
    is provided unless the application or
    accompanying information indicate that it can be
    used to apply for a HELOC

14
Online Loan Applications Closed-End Mortgage
Loans
  • If an application for an ARM loan is
  • provided online, the following
  • additional disclosures must also be
  • provided
  • ARM program disclosure
  • CHARM booklet

E-Sign disclosures not required
15
Online Loan Applications ARM Disclosures
  • The proposed rule from the FRB requires ARM
  • disclosures to be provided using same methods as
  • HELOCs
  • Automatically appear on screen
  • Appear elsewhere on page if clear reference is
    made
  • Provide link to disclosures if it cannot be
    by-passed

16
Online Loan Applications General Purpose
Applications (For ARMs)
  • ARM Loan Applications
  • No exception exists, as with HELOCs, stating that
    ARM disclosures need not be provided with generic
    application forms

17
Opening Deposit Accounts Things to Consider
  • Things to consider when establishing such a
    process
  • include
  • Providing initial disclosures
  • Funding the account
  • Identification and BSA considerations

18
Opening Accounts Online Required Disclosures
The following disclosures must generally be
provided prior to an account being opened or
service provided
  • Initial Truth in Savings
  • Initial Electronic Funds Transfer
  • Initial Expedited Funds Availability
  • Initial Privacy Disclosures
  • Check 21 Disclosure (depending)

E-Sign disclosures are required for above
19
Check 21Disclosure Requirements
  • Account Opening Must be provided at time
    customer relationship is initiated if paid
    original (or substitute) checks are provided
    with periodic statement
  • Subsequent Disclosures
  • Customers that request a copy of an original
    check and are provided a substitute check
  • Customers that receives an unpaid returned
    substitute check

20
Opening Accounts Online Method of Disclosure
  • Disclosures must be provided clearly and
    conspicuously, in writing and in a form the
    consumer may keep
  • No additional requirements regarding the manner
    in which the disclosures must be provided e.g.,
    direct on screen versus link that cannot be
    by-passed

21
Opening Accounts Online Funding the Account
  • Transfer from another financial institution
  • Transfer from existing account
  • Mailed check

22
Opening Accounts Online BSA Considerations
  • The FFIEC BSA/AML Examination Manual states the
    following regarding online identification
  • Banks engaging in transactional Internet
    banking should
  • have effective and reliable methods to
    authenticate a cust-
  • omers identity when opening accounts on-line
    and should
  • establish policies for when a customer should be
    required to
  • open accounts on a face-to-face basis.
  • The Manual also makes reference to
    Authentication in an Internet Banking Environment
    issued by the FFIEC, October 13, 2005

23
Online StatementsThings to Consider
  • Other than E-Sign, no restrictions exist on the
    method of providing electronic periodic
    statements as long as periodic statements are
    provided within the specified times and in a form
    that consumer may keep

E-Sign disclosures are required
24
Online Payments Bill Pay Disclosure Pitfall
  • Disclosures must be given in close proximity to
    the event requiring disclosure, e.g., when the
    consumer contracts for bill pay services
  • Initial disclosure are usually provided when
    consumers sign up for online banking
  • If bill pay services are subsequently obtained,
    new disclosures are frequently overlooked

25
Getting it WrongThe Consequences
Not accurately providing the required Regulation
E disclosures can have significant consequences
  • A consumer may only be held liable, within the
    limitations of Regulation E if the financial
    institution has provided the initial account
    disclosures
  • Consumers are liable for transactions that occur
    60 days after transmittal of periodic statement
    (but what if that statement is not properly sent)

26
Website Compliance Advertising Deposit Accounts
  • If a website displays a triggering term (APY or a
    bonus), the additional required disclosures must
    be provided
  • Do not have to be on same page, but must be a
    clear reference to where the disclosures begin
  • This can include a link that takes the consumer
    directly to additional information

27
Website Compliance APYs and Interest Rates
  • While the disclosures triggered by an APY may be
    accessed via link, if an APY and interest rate
    are disclosed, they must be provided together
  • Section 230.8(b) prohibits interest rates from
    being stated alone or from being stated more
    conspicuously than the APY to which it relates

28
Website Compliance Overdraft Privilege
  • If advertisement promotes overdraft service, it
    must also disclose
  • Fee or fees for overdraft
  • Categories of transactions for which fees
    imposed
  • Time period to repay
  • Circumstance bank will not pay
  • Proposed rule on Regulation
  • DD includes new comment
  • to clarify rules that apply to
  • advertising disclosures also
  • apply to the advertisement
  • of overdraft protection

29
Website Compliance Closed-End Triggering Terms
  • The following terms, if used on a banks website,
  • require the disclosure of additional terms
  • The number of payments or period of repayments
  • The amount of any payment
  • The amount of any finance charge

We offer consumer loans with terms of 5 to 30
years!
30
Website Compliance Advertising HELOCs
  • For home equity line of credit advertisements,
    affirmative as well as negative terms trigger the
    additional disclosure requirements, so the
    following statements trigger additional
    disclosures

No closing costs!
No points!
No annual fee!
31
New Payment MethodsPayroll Cards
  • Beginning 7/1/07, payroll card accounts became
    covered by Regulation E
  • A payroll card account is defined as an account
    that is directly or indirectly established
    through an employer and to which electronic fund
    transfers of the consumers wages, salary or
    other employee compensation (such as commission)
    are made on a recurring basis

32
New Payment MethodsStored Value Cards
  • Not covered by Regulation E
  • Customer may have 0 liability through Visa
  • OCC and OTS have issued gift card guidance
  • Have BSA implications

33
Electronic Check ConversionInitial Disclosure
for Regulation E
  • Regulation E changes effective 1/1/07, required
    initial disclosures for Regulation E to identify
    electronic check conversion (ECK) transactions as
    a type a consumer can make

34
Electronic Check ConversionRevised Model Language
  • The FRB issued the following model language to
    satisfy the ECK disclosure requirement
  • Electronic check conversion. You may authorize
    a
  • merchant or other payee to make a one-time
    electronic
  • payment from your checking account using
    information
  • from your check to
  • (i) Pay for purchases
  • (ii) Pay bills

35
Electronic Check ConversionRevised Model Language
Existing model language was also modified
relating to the consumer liability 205.7(b)(1)
and the telephone and address requirement
205.7(b)(2) Tell us AT ONCE if you believe
your card code has been lost or stolen, or
if you believe that an electronic fund transfer
has been made without your permission using
information from your check.
36
Electronic Check ConversionRevised Model Language
  • If you believe your card code has been
    lost or stolen, call
  • Telephone number or write Name of person or
    office to be
  • notified Address
  • You should also call the number or write to the
    address listed
  • above if you believe a transfer has been made
    using the information
  • from your check without your permission.

37
Electronic Check ConversionCollecting Loan
Payments Via ACH
  • Effective 1/1/07, financial institutions that
    convert checks to electronic funds transfers,
    e.g., to collect loan payments, using the
    information on checks must provide notice to
    consumers for each conversion

38
Electronic Check ConversionCollection of
Mortgage Payments
  • Coupon Books ECK disclosures placed in a
    conspicuous location on a coupon book are deemed
    to be placed on each coupon for purpose of
    obtaining a consumers authorization
  • Periodic Statements If periodic statements or
    billing statements are sent, disclosures must be
    provided on each statement

39
Contact Information
Sean J. Kulczycki, CRCM 314.231.5544 skulczycki_at_b
kd.com
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