A question came up during a recent audit in regards to how a CTR would be completed for a local Diocese. This particular Diocese has a few different churches using the same EIN. Our system recognizes large currency transactions that we compare to see if a CTR was completed. My question is, would a CTR be filed on that specific church when deposits of cash are over $10k, or on the Diocese?
How do we know when a cushion is allowed?
We had a customer ask to start a voluntary escrow account on an existing loan. Do we need a new agreement?
We often have lobby posters advertising products, services, benefits like trips on a discounted price and others things on display so staff can answer questions on these and to promote these items. Do they require the general FDIC advertising statement>
Internet Gambling became legal in Colorado this year. Our bank is wondering how that affects our Reg GG Policy?