REGULATION AND OPPORTUNITY JAY W. COAKLEY COAKLEY STRATEGIC SOLUTIONS LLC WWW.COAKLEYSTRATEGICSOLUTIONS.COM 573-321-3922 Overdraft Income.

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Presentation transcript:

REGULATION AND OPPORTUNITY JAY W. COAKLEY COAKLEY STRATEGIC SOLUTIONS LLC Overdraft Income

Overview of Regulation The final rule limits the ability of a financial institution to assess an overdraft fee for paying automated teller machine (ATM) and one-time debit card transactions that overdraw a consumer’s account, unless the consumer affirmatively consents, or opts in, to the institution’s payment of overdrafts for these transactions. Consumer accounts not commercial accounts Coakley Strategic Solutions LLC

Compliance Date July 1, Coakley Strategic Solutions LLC

We now have two groups ATM One-time Debit  The proposed opt-in also applied to any one-time debit card transaction, regardless of whether the consumer uses a debit card at a point-of-sale (for example, at a merchant or a store), in an on-line transaction, or in a telephone transaction Checks ACH Recurring Debit Bill pay Opt-In Required to charge a feeNO Opt-In Required 2009 Coakley Strategic Solutions LLC

Implement Opt-in Programming Account Level  If one joint consumer opts in to the institution’s overdraft service, the institution must treat the consent as applying to all overdrafts involving an ATM or debit card transaction for that account. Product Level  You could have a separate account that pays and charges for ATM and One-time Debit transactions into OD Coakley Strategic Solutions LLC

Decoupled Debit Overdraft fees charged by the account-holding financial institution for a decoupled debit transaction processed via ACH are not generally subject to the opt-in requirement of the final rule Coakley Strategic Solutions LLC

One-time and Recurring Debit The Board is adopting a safe harbor in new comment 17(b)-1.ii to explain that a financial institution complies with the rule if it adapts its systems to identify debit card transactions as either one-time or recurring. If it does so, the financial institution may rely on the transaction’s coding by merchants, other institutions, and other third parties as a one-time or recurring debit card transaction Coakley Strategic Solutions LLC

Opting-In The opt-in requirement applies to both existing and new accounts. Notice of the opt-in right must be provided, and the consumer’s affirmative consent obtained, before fees or charges may be assessed on the consumer’s account for paying ATM and One-time Debit related overdrafts Coakley Strategic Solutions LLC

Opting-In Segregation requirement. The method for providing consent, such as a signature line or check box, must be separate from other types of consents. The final rule also requires that notice be provided in writing, or if the consumer agrees, electronically Coakley Strategic Solutions LLC

Methods to Opt-In A written form that the consumer can complete and mail Provide a toll-free/local telephone number to a trained call center. Opting in on-line. A form that the consumer can fill out and present in person at a branch or office to provide affirmative consent Coakley Strategic Solutions LLC

Opt-in Requirements Requires that the institution provide the consumer with confirmation of the consumer’s consent in writing, or if the consumer agrees, electronically.  particularly important when a consumer opts in by telephone. Can be by copy of signed document or final rule permits the confirmation to be provided electronically, if the consumer agrees Coakley Strategic Solutions LLC

Product Exceptions to Opt-in Fresh Start Checking  If a financial institution has a policy and practice of declining to authorize and pay any ATM or one-time debit card transactions with respect to one type of deposit account offered by the institution, when the institution has a reasonable belief at the time of the authorization request that the consumer does not have sufficient funds available to cover the transaction, that account is not subject to § (b)(1), even if other accounts that the institution offers are subject to the rule. For example, if the institution offers three types of checking accounts, and the institution has such a policy and practice with respect to only one of the three types of accounts, that one type of account is not subject to the notice requirement. However, the other two types of accounts offered by the institution remain subject to the notice requirement Coakley Strategic Solutions LLC

Decision The rule does not, however, prohibit financial institutions from paying overdrafts for ATM and one-time debit card transactions even if a consumer has not affirmatively consented or opted in to the institution’s overdraft service, so long as a fee is not imposed Coakley Strategic Solutions LLC

Key Dates and Procedures For accounts opened prior to July 1, 2010, final § (c)(1) states that the financial institution must not assess any fees or charges on a consumer’s account on or after August 15, 2010 for paying an ATM or one-time debit card transaction pursuant to the overdraft service, unless the institution has complied with § (b)(1) and obtained the consumer’s affirmative consent. For accounts opened on or after July 1, 2010, § (c)(2) states that the financial institution must comply with § (b)(1) and obtain the consumer’s affirmative consent before the institution assesses any fee or charge on the consumer’s account for paying an ATM or one-time debit card transaction pursuant to the institution’s overdraft service Coakley Strategic Solutions LLC

Consistent Form 2009 Coakley Strategic Solutions LLC

What needs work Order of Debit and Credit Processing  For customer service reasons, financial institutions also have an incentive to minimize the circumstances under which transactions are declined. Payment Order  High to Low Overdraft Limits Adjusted  Allow for more debit OD occurrences 2009 Coakley Strategic Solutions LLC

What needs 2009 Coakley Strategic Solutions LLC 17 Income  Review of all sources Expense  Reduction

What needs 2009 Coakley Strategic Solutions LLC 18 DDA Product  Complete review of product offerings  Customer behavior will need to change drastically.  In a survey commissioned by the State of New York Banking Department, Money Rates researched offerings provided by banks doing business in New York, reporting the fees charged for consumer checking account and ATM services. In the third quarter of 2009, overdraft fees averaged $29.56 and monthly fees averaged $6.63 per month. Although the average monthly maintenance fee was smaller in comparison, the growth of monthly maintenance fees was 15.3% between the first and third quarters of many times the 2.8% growth rate of overdraft fees in the same period.  Monthly maintenance fees can have a large effect on your checking account balance. The average maintenance fee from the survey, $6.63 per month, would cost a bank customer $79.56 in a year. On a $500 average checking account balance, these fees would translate into a nearly 16% annual loss just for holding the account.

What needs work Link Options and Fees  Savings, Line, Credit Card  The proposed definition excluded an institution’s payment of overdrafts pursuant to a line of credit subject to the Board’s Regulation Z, including transfers from a credit card account, a home equity line of credit, or an overdraft line of credit. The proposed definition also excluded overdrafts paid pursuant to a service that transfers funds from another account of the consumer (including any account that may be jointly held by the consumer and another person) held at the institution.  2009 Coakley Strategic Solutions LLC

But Wait, There’s 2009 Coakley Strategic Solutions LLC 20 November 17, The banking panel held a hearing today on a measure that would prohibit financial firms from levying more than one overdraft fee a month and more than six a year. The Fed’s rules are “a good start,” Dodd, a Connecticut Democrat, said. “But my legislation goes further, and I remain committed to ensuring that American consumers are protected.”