Division of Depositor and Consumer Protection Banker Teleconference
Division of Depositor and Consumer Protection Banker Teleconference Series Third-Party Compliance Risk Management Tuesday, June 5, 2012
Presenters § Luke Brown, Associate Director DCP Supervisory Policy § Victoria Pawelski, Senior Policy Analyst DCP Supervisory Policy § John Bowman, Senior Review Examiner DCP Office of CRA and Compliance Examinations § Julie Tupper, Senior Compliance Examiner DCP Dallas Regional Office 2 FEDERAL DEPOSIT INSURANCE CORPORATION
Agenda § Introduction § 2008 FDIC Guidance on Managing Third-Party Risk (FIL-44 -2008) § Third-Party Relationships: Compliance Risk Management Examples § 2012 FDIC Revised Guidance on Payment Processor Relationships (FIL-3 -2012) § Questions and Answers 3 FEDERAL DEPOSIT INSURANCE CORPORATION
2008 FDIC Guidance on Managing Third-Party Risk 4 FEDERAL DEPOSIT INSURANCE CORPORATION
Definition of Third-Party Relationship § Entity with which financial institution has entered into a business relationship s Facilitate customer access to bank services or products s Perform functions on the bank’s behalf § Bank or non-bank, affiliated or nonaffiliated, regulated or non-regulated, domestic or foreign 5 FEDERAL DEPOSIT INSURANCE CORPORATION
Benefits/Risks 6 Benefits Risks § Strategic Objectives § Revenue § Expertise § Efficiencies § Resources § Access § § § Legal Regulatory Financial Loss Reputation Loss of Customers FEDERAL DEPOSIT INSURANCE CORPORATION
Financial Institution Responsibility § Board and management oversight tailored depending on the relationship § The institution, and its Board and management, are responsible for managing activities conducted through third parties as if the activity were conducted directly by the institution s Indemnity agreement not enough 7 FEDERAL DEPOSIT INSURANCE CORPORATION
Types of Risk § § § 8 Strategic Risk Reputation Risk Operational Risk Transaction Risk Credit Risk § § Liquidity Risk Compliance Risk Legal Risk Other Risks FEDERAL DEPOSIT INSURANCE CORPORATION
Risk Management Process § Is this a significant third-party relationship? § Process tailored depending on the risks identified, nature & significance of the relationship, scope & magnitude of the activity § Effective risk management process 9 FEDERAL DEPOSIT INSURANCE CORPORATION
Risk Management Framework § Four Key Elements s Risk Assessment s Due Diligence s Contract Structuring and Review s Oversight 10 FEDERAL DEPOSIT INSURANCE CORPORATION
Third-Party Relationships: Compliance Risk Management Examples 11 FEDERAL DEPOSIT INSURANCE CORPORATION
Compliance Risk Management Examples § Rent-A-BIN § Debt Collection § Prepaid Cards § RESPA Section 8 § Identity Theft Protection Programs § Privacy 12 FEDERAL DEPOSIT INSURANCE CORPORATION
2012 FDIC Revised Guidance on Payment Processor Relationships 13 FEDERAL DEPOSIT INSURANCE CORPORATION
FDIC Financial Institution Letter FIL-3 -2012 § January 31, 2012 s FDIC releases Revised Guidance on Payment Processor Relationships s Replaces & updates 2008 Guidance on Payment Processor Relationships (FIL 127 -2008) 14 FEDERAL DEPOSIT INSURANCE CORPORATION
Definition of Third-Party Payment Processor § What is a Third-Party Payment Processor or “Processor”? s Depositor that uses its banking relationship to process payments for its merchant clients 15 § Benefits: s Fee income s Large deposit balances s Capital injections § Concerns: s Merchant clients several entities removed s Nested or aggregator relationships s Merchant client activities FEDERAL DEPOSIT INSURANCE CORPORATION
Main Risks of Processors § Credit Risks s Charge-backs from unauthorized transactions s Regulation CC warranty § Compliance Risks § Reputational Risks s Financial institution tied to merchant clients § Legal Risk s Class action lawsuits 16 FEDERAL DEPOSIT INSURANCE CORPORATION
Processor Red Flags § Targeting problem financial institutions in need of capital/earnings § Smaller financial institutions with limited resources for proper monitoring § Processors with relationships at multiple financial institutions at the same time § Consumer complaints § High Unauthorized Return Rates (URRs) or returns/charge-backs 17 FEDERAL DEPOSIT INSURANCE CORPORATION
Financial Institution Protections § Due diligence (initially & ongoing) – Know Your Customer § Policies & procedures for monitoring (URRs/Returns, complaints, etc. ) § Be aware of potential Compliance Risks 18 FEDERAL DEPOSIT INSURANCE CORPORATION
Types of Payments § Types of Payments s Remotely Created Checks (RCCs) s Automated Clearinghouse Items (ACHs) s Network-related payments 19 FEDERAL DEPOSIT INSURANCE CORPORATION
Remotely Created Checks § What are RCCs? s Regular paper check that the Merchant creates s No consumer signature s Consumer provides account number & bank routing number, and merchant prints check s Merchant submits for regular check processing 20 FEDERAL DEPOSIT INSURANCE CORPORATION
Risks of RCCs § Merchant client can continue to draft checks § Depository financial institution responsible to paying financial institution under Regulation CC Section 229. 34(d) § Consumer complaints regarding unauthorized withdrawals from account § High volume – difficult to monitor § High URRs and returns/charge-backs § Unregulated environment 21 FEDERAL DEPOSIT INSURANCE CORPORATION
ACH Use & Risks § How do processors use ACHs & what are the risks? s Merchant uses account number to initiate an electronic debit s Visa/Master. Card & NACHA rules s Unauthorized debits & charge-backs 22 FEDERAL DEPOSIT INSURANCE CORPORATION
Themes and Trends s No Board-approved policies/procedures s Growth beyond financial institution’s resources/abilities s Increase in fee income short-lived due to charge-backs s Underestimate potential reputation risks 23 FEDERAL DEPOSIT INSURANCE CORPORATION
Questions and Answers 24 FEDERAL DEPOSIT INSURANCE CORPORATION
Thank You The information contained in this presentation is for informational purposes only and is provided as a public service and in an effort to enhance understanding of the statutes and regulations administered by the FDIC. It expresses the views and opinions of FDIC staff and is not binding on the FDIC, its Board of Directors, or any Board member, and any representation to the contrary is expressly disclaimed. 25 FEDERAL DEPOSIT INSURANCE CORPORATION
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