We have just finished up an FDIC exam. We have a check/debit card buy back program for new customers where we will pay them $2 per debit card/check pad directly into their account. We've been doing this program for years and past examiners have asked questions about it but not found any violations. All of a sudden, this is considered a bonus and we must change all of marketing materials and disclosures if we wish to continue. Our marketing vendor says that they are not aware of any other banks that have had a problem with this program. Does anyone have experience with this?
It is not a payment for opening the account. Push back to the higher ups at the FDIC, including the ombudsman if necessary. This practice has been going on since the origins of Reg. DD and I have never heard it being cited before.
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The opinions expressed here should not be construed to be those of my employer: PPDocs.com
Should we proceed now before the final report has been issued or must we wait? Our response did state that we were not in agreement with the interpretation and that we were researching it further.
Should we proceed now before the final report has been issued or must we wait?
I would not wait until the final report is issued. Someone should be in contact with the EIC to understand the exact status of this criticism and indicate that the Bank wants to escalate this issue prior to the report being issued.
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The opinions expressed here should not be construed to be those of my employer: PPDocs.com
I'm assuming the the EIC is the examiner in charge? She does know that we do not agree and we provided a new response to what she had originally included in the report because it appeared that we agreed. She forwarded this response to her review supervisor. It basically said that we were still researching this issue and did not agree with the finding. Do I need to also let her know that I am contacting the ombudsman?