Regulation D Account Limitations

And it’s one, two, three strikes you’re out at the old ball game … or is it?  You are probably already aware that Regulation D limits savings and money market accounts to six preauthorized withdrawals or transfers per month or statement cycle of at least four weeks.  You do have choices; however, when it comes to compliance.  Option one is to implement controls that prevent an account from exceeding the withdrawal/transfer thresholds.  Option two is to monitor applicable accounts to see if they exceed the withdrawal/transfer threshold and then follow up with the customer.  Option two and the customer follow up portion is what we’re going to take a swing at today.

 

Withdrawal/Transfer Thresholds – Exceeded Three Consecutive Months:

 

Accounts exceeding the transfer limitations for three consecutive months should be converted to a transactions account.  The guidance states, if the depositor exceeded the transfer limit for a third consecutive month, the institution would send a letter informing the customer that the account has been converted to a transaction account. [February 15, 1990 Federal Reserve Board Staff Opinion]

 

In this scenario, the guidance suggests it’s three strikes and you’re out.

 

Withdrawal/Transfer Thresholds – More than Three Months/12 Month Period:

 

…an institution may continue to consider an account an MMDA even there are excess transfers so long as those excess transfers are not the result of an attempt to evade the transfer limits, and if the excess transfers occur in not more than three months during any 12-month period.  This working rule is not absolute; however, and the facts and circumstances must be considered in each case.  [February 15, 1990 Federal Reserve Board Staff Opinion]

 

In this scenario the guidance suggests it’s four strikes and you’re out.

 

Withdrawal/Transfer Thresholds – Deliberate Excess/Single Month:

 

When a customer ignores the transfer limits applicable to an MMDA, the depository institution should take steps to close the account more quickly than it would an account from which the depositor inadvertently, and occasionally, exceeds the transfer limits by a single transfer.  [February 15, 1990 Federal Reserve Board Staff Opinion]

 

In this scenario the guidance suggests it’s a single strike and you’re out.

 

These rules are not complicated; however, we find that they are sometimes forgotten and sometimes just plain ignored.  Has it been awhile since you reviewed your Regulation D savings and money market account withdrawal/transfer controls and/or monitoring procedures?  If so, it’s a good idea to do so.

 

Published
2018/12/24
Jerod Moyer

David Dickinson

David’s banking career began as a field examiner for the FDIC in 1990. He later became a Compliance Officer and Loan Officer for a small bank. In 1993, he established Banker’s Compliance Consulting. Along with his amazingly talented Team, he has written numerous compliance articles for prestigious banking publications and has developed compliance seminars that Banker’s Compliance Consulting produces.

He is an expert in compliance regulations. He is also a motivational speaker and innovative educator. His quick wit and sense of humor transforms the usually tiring topic of compliance into an enjoyable educational experience. David is on the faculty of the American Bankers Association National Compliance Schools and has served on the faculty of the Center for Financial Training for many years. He also is a frequent speaker at the ABA’s Regulatory Compliance Conference. He is also a trainer for hundreds of webinars, is a Certified Regulatory Compliance Manager (CRCM) and has been a BankersOnline Guru for many years. The American Bankers Association honored David with their Distinguished Service Award in 2016.

David and his wife Karen have three adult children, four grandchildren (none of whom live at home!) and two cats (of which Dave is allergic … the cats, not the children!). They recently moved to an acreage outside of Lincoln, Nebraska where he gets to play with his tractor. When possible David can be found fishing, making sawdust in his shop, or playing the guitar and piano. He also enjoys leading worship at his church.

Recent Posts

Flood: Relying on A Prior Flood Determination

Knowing Your Customer When Banking Marijuana & Hemp

CFPB Overdraft Proposal