Posted By: LiveFromNYC
FDIC - Trust Account Beneficiary - 10/03/08 01:32 PM
Perhaps you can add some clarity to the 9/26/08 FDIC Press Release which states that "The interim rules, which are effective immediately, eliminate the concept of qualifying beneficiaries, so that coverage is based on the naming of virtually any beneficiary".
I follow the concepts being discussed but where I'm confused is by the choice of wording; specifically "interim" vs "effective immediately". Intuitively, I take interim to suggest some sort of temporary condition that is subject to change but effective immediately has the feel of a more permanent rule.
Should we proceed (revise disclsoure) to indicate that a named beneficiary need not conform to the previous qualifying relationship requirements in order to be eligible for FDIC coverage?
I would appreciate your thoughts.
Thanks
I follow the concepts being discussed but where I'm confused is by the choice of wording; specifically "interim" vs "effective immediately". Intuitively, I take interim to suggest some sort of temporary condition that is subject to change but effective immediately has the feel of a more permanent rule.
Should we proceed (revise disclsoure) to indicate that a named beneficiary need not conform to the previous qualifying relationship requirements in order to be eligible for FDIC coverage?
I would appreciate your thoughts.
Thanks