The CRA Sunshine Act requires certain financial institutions to report and disclose information about covered agreements, which are agreements related to the institution's CRA activities. This includes agreements for grants, loans, or other forms of assistance provided to fulfill CRA obligations.
The primary responsibility for overseeing a bank's inherent compliance risk lies with the Board of Directors. The Board of Directors is responsible for the overall governance and strategic direction of a bank, including managing risk. Compliance risk refers to the potential for violations of laws, regulations, and internal policies and procedures.
If a branch manager discovers an unexplained $7,000 cash shortage in Teller #1's cash drawer, the bank must take appropriate actions, and one of those actions is to file a Suspicious Activity Report (SAR).
TILA does not grant the right to rescind for loans that are primarily for business purposes. In the situation you mentioned, where a line of credit is used for the borrower's business and secured by their primary dwelling, the borrower does not have the right to rescind the loan agreement.
The correct answer is the Gramm-Leach-Bliley Act of 1999. Congress enacted the Gramm-Leach-Bliley Act (GLBA) in 1999 to address various aspects of the financial services industry, including the disclosure of customer information by financial institutions.
First State Bank's asset size would NOT be relevant to the FDIC's consideration of the bank's acquisition in this scenario. When a state nonmember institution, like First State Bank, plans to purchase a company that would become its financial subsidiary, the FDIC (Federal Deposit Insurance Corporation) is involved in the review and approval process.
When opening a deposit account online, Regulation E disclosures must be provided either at the time of account opening or before the first Electronic Fund Transfer (EFT) occurs. Regulation E, which is part of the Electronic Fund Transfer Act (EFTA) in the United States, establishes the rights and responsibilities of consumers and financial institutions regarding electronic transfers of funds.