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#28670 - 08/21/02 06:59 PM
Re: CIP and "new" accounts
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Diamond Poster
Joined: Jul 2002
Posts: 1,678
United States
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I agree with JacFSB. Unless the customer is changing something about the account (then it becomes a totally new account anyway), then I wouldn't sweat it. If your system changes account numbers, however, it may be a wise idea to "link" the two accounts. What I mean is to create some way to prove that you performed your customer identification when you originally opened the account.
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Opinions expressed are solely my own.
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#28672 - 08/21/02 08:14 PM
Re: CIP and "new" accounts
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Diamond Poster
Joined: Jul 2002
Posts: 1,678
United States
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I have read that Sec. 326 is not retroactive, so accounts established prior to the effective date are not affected. In your case, you opened the account before the CIP regs went into effect, so I am of the persuasion that you should be covered, but that's just my opinion. Someone else may argue differently. I guess the ultra conservative position would be to complete the new CIP requirements at maturity, but I don't see that one going over real well with the customer. By the way, should you have a hard time finding things to worry about, never fear. It appears that the Gov't is cranking out things to worry about as fast as they can! After all, it's their specialty  !
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Opinions expressed are solely my own.
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#28673 - 08/21/02 08:28 PM
Re: CIP and "new" accounts
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Anonymous
Unregistered
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In the past, we did not get copies of drivers license or other IDs. (we recorded the info) So, if an existing customer applies for a loan or opens a new account, do we have to now ask them for ID so we can copy it? I don't think they are going to be very happy. Plus, what if they are applying for a non-HMDA loan? We are copying a document that contains prohibited info (sex). I guess we copy it and send it to the new accounts department, where it is ok to have such stuff!
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#28674 - 08/21/02 08:35 PM
Re: CIP and "new" accounts
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Platinum Poster
Joined: Jul 2001
Posts: 708
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Section 103.121 a(3) "Any person seeking to open an account at the bank, on or after the effective date of the final rule, will be a "customer" regardless of whether that person already has an account at the bank." I think the rule is quite clear. If you don't know whether you have obtained and are retaining a copy of the identification you used previously to id your customer, you better get it even though your customers has had other accounts at your bank. New account=new customer unless you have already retained an id on the customer ie copy of drivers license attached to previous account signature card.
These are my opinions and not those of my employer.
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CRCM CAMs
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#28675 - 08/21/02 09:19 PM
Re: CIP and "new" accounts
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Diamond Poster
Joined: Aug 2001
Posts: 1,033
Marysville, Ca.
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According to Section 103.121(b)(3) Recordkeeping it states:
"Where a bank relies upon a document to verify identity, the bank must maintain a copy of the document that the bank relied on that clearly evidences the type of document and any identifying information it may contain."
Seems a bit crazy, but yes a copy is required. Also in the same section they mention the ECOA discrimination problems in this area.
Hope this helps
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Tina A Sweet-Williams AVP Special Assets mailto:tsweet@goldcountrynb.com
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#28676 - 08/22/02 02:59 AM
Re: CIP and "new" accounts
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Power Poster
Joined: Nov 2001
Posts: 6,719
PA
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In reply to:
New account=new customer
But automatic rollover does not equal new account, so the CIP requirements shouldn't apply here.
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