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#1988334 - 01/13/15 05:24 PM Privacy Notice - Alternative Delivery Method
awilli Offline
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Joined: Oct 2014
Posts: 291
If the Bank utilizes the alternative delivery method for the annual privacy notice by placing the notice on the website, can the notice on the website be different than the initial notice?

For example, if the opt-out disclosure requirement under section 624 of FCRA subpart C (Affiliate Marketing Rule) is satisfied with the initial privacy notice, can this section be removed from the annual privacy notice on the website?
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#1988722 - 01/14/15 08:33 PM Re: Privacy Notice - Alternative Delivery Method awilli
awilli Offline
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Joined: Oct 2014
Posts: 291
Another question pertaining to the Alternative Delivery Method of the Annual Privacy Notice:

For the below standard language that is required to be inserted on an account statement, coupon book, or notice, etc:
"Federal law requires us to tell you how we collect, share, and protect your personal information. Our privacy policy has not changed and you may review our policy and practices with respect to your personal information at..."

Is it acceptable if this language is placed on the BACK of an account statement, etc???
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Say what you mean, mean what you say, but don't say it mean.

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#1988862 - 01/15/15 03:05 PM Re: Privacy Notice - Alternative Delivery Method awilli
Truffle Royale Offline

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Joined: Jul 2003
Posts: 17,400
Please don't post the same question in multiple forums.

Anyone wishing to respond or see answers to this question can go here.

Thank you.

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