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FDIC Federal Register Citations

FIRST BANK OF TENNESSEE

7-16-04

Federal Deposit Insurance Corporation
Robert E. Feldman, Executive Secretary
Attention: Comments, FDIC
550 17th Street NW
Washington, DC 20429
Reference: Comments on Overdraft Protection Dear Mr. Feldman:

Marketing and communication with customers is very important to First Bank of Tennessee. Overdraft Protection is a product that our customers demand. Before we offered this product, we had customers that refused to open a checking account with our bank because we did not provide overdraft protection. These customers had moved into our area from other cities that had provided them with this service.

Our bank does not mislead our customers as to the true cost of this service. We provide disclosures at account opening and our customer representatives are vigilant in describing all aspects of this product to them at that time. Our staff explains the product features and offers other choices that are available to them. The customer makes the final choice of which product they prefer. Our customers request this service since it prevents having to pay an overdraft fee at both the bank and the merchant, should they have a check with non-sufficient funds presented for payment. It also spares them undue embarrassment at these establishments.

Our overdraft program prominently distinguishes actual balances from overdraft protection funds available. Overdraft amounts are not reflected in our ATM balance inquiries. We also notify customers by notice the day the overdraft program is accessed. We do not charge an interest fee in addition to the overdraft charge. A flat fee is charged each time the service is triggered and an overdraft is paid — this fee is the same amount that would be charged even if the overdraft item were not paid. There is no additional interest or other fees charged.

First Bank of Tennessee does not target low-income consumers — virtually all consumer checking accounts are eligible for this service if the customer meets the bank's criteria for this product. First Bank of Tennessee is a community bank that strives to serve our customer base fairly — not take advantage of them in any way.

Thank you for the opportunity to respond to the agency's concerns.

Doris M. Waldo
Sr. VP Operations
First Bank of Tennessee
420 Third Avenue
Dayton, TN 37321

Last Updated 07/30/2004 regs@fdic.gov

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