What is the proper way of reporting the beneficiaries of the following cash in deposits in a CTR. The TIN number for all is the same #11-1111111. XYZ Corporation (6 accounts*) $11100 XYZ Corporation dba Café,LLC (Acct 9999) $1000 XYZ Corporation dba Bake LLC (Acct 888) $600 * There is no dba in the title of the 6 accounts. Do I need to report 3 beneficiaries to show the actual amount of cash deposited to the accounts? Is it okay to report XYZ Corp dba Café LLC (6 accounts including acct #9999) $12100 and XYZ Corp dba Bake LLC (acct #888) $600?
When a customer notifies us of a potential fraudulent activities on their account, we place the account on a "restricted" status (any debits trying to hit will reject and have to be worked manually) for a maximum of 90 days. Is it safe to remove the restricted status if no fraudulent activities occur? What would be the best way to handle day 91?
Are there any compliance issues with regards to a change of address on a commercial loan. i.e authorized signers on change of address form, verbally submit a change with no written signature obtained?
Where is the rule about requiring branch employees to take at least a week off a year for security reasons?
I attended Ken Golliher's seminar yesterday in Tulsa, it was very informative. I understood him to say that even if we don't do international transactions at this time, that he would still advise us to address Section 311 (Special Measures) of the USA PATRIOT Act in our policy/procedures. I was hoping someone could weigh in on this for me.