ABA Risk and Compliance
 
 
 
 
March 20, 2020
Features
Amid the global coronavirus pandemic—and a massive response by policymakers—how can community banks best meet customer and employee needs while managing their balance sheets and loan portfolios?
Bankers have a menu of potential alternative reference rates, each of which requires attention to understand.
McGuffin Creative Group
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Risk and Compliance News
The OCC today issued guidance for banks that may need to temporarily close or otherwise restrict access to a facility due to staffing issues or other precautionary measures related to the coronavirus pandemic.
With the number of reported cases of the novel coronavirus on the rise in the U.S., the Federal Financial Institutions Examination Council has issued guidance for banks on business continuity planning in the face of a pandemic.
The Financial Crimes Enforcement Network today reminded banks to communicate promptly with FinCEN and their primary regulator if they experience delays in filing Bank Secrecy Act reports due to the coronavirus pandemic.
Bank management does have capacity to make the examination experience a better one. Two financial services attorneys explain how.
The high court electrified its docket by deciding to hear two cases on the Consumer Financial Protection Bureau’s leadership structure and the Securities and Exchange Commission’s enforcement power.
Naylor Association Solutions
Naylor Association Solutions
The Small Business Administration has issued a final rule implementing ABA-supported legislation to strengthen the agency’s oversight of its loan programs and increase its maximum lending authority.
As part of its efforts to prevent consumer harm, the Consumer Financial Protection Bureau today announced that it will issue advisory opinions to help companies understand legal and regulatory obligations.
Third Party Risk Management and the Consumer Financial Protection Bureau
OneTrust
To address the Bureau of Consumer Financial Protection (CFPB) third-party risk management guidance, organizations should understand the expectations as laid out in Compliance Bulletin and Policy Guidance; 2016-02, Service Providers.
In this blog post, we’ll outline the key details of the CFPB third-party risk management guidance and provide recommendations for actioning these obligations.
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