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FDIC Federal Register Citations |
July 18, 2001 Attention: Comments/OES Robert E. Feldman Executive Secretary Federal Deposit Insurance Corporation 550 17th Street NW Washington DC 20429 Re: FDIC Notice of Proposed Rulemaking RIN 3064- AC49 Being Engaged in the Business of Receiving Deposits Other Than Trust Funds Dear Mr. Feldman: The following comments on the referenced proposed regulation are made on behalf of USAA Federal Savings Bank, its subsidiary, USAA Savings Bank (an FDIC-insured Nevada Thrift Company that has been federally insured since September 1996, and accepts deposits from the public), and USAA Financial Services Corporation, a Utah corporation that owns an inactive Utah industrial loan company license. We agree that the language "engaged in the business of receiving deposits, other than trust funds" found in several sections of the Federal Deposit Insurance Act is ambiguous and therefore can be the subject of conflicting interpretations. The court's opinion in the Heaton v. Monogram Credit Card Bank case is an example of the conflicts that can arise. We support the FDIC's initiative to adopt a regulation codifying General Counsel's Opinion No. 12 as a way to ensure insured depository institutions and the customers they serve can have confidence that federal law is applied in a fair and uniform manner. We have the following specific comments concerning the referenced proposed regulation:
We believe that the FDIC has properly interpreted an ambiguous
statute and established reasonable guidelines. Also, it is essential to
insured institutions like USAA Savings Bank that FDIC interpretations be
honored. We are concerned that the opinion in the Heaton case will set a
precedent for the inconsistent application of federal banking laws,
which could lead to unnecessary confusion, uncertainty and expense. The
FDIC should adopt the proposed regulation so that those relying on
federal deposit insurance may rest assured in the FDIC's authority to
set standards. |
Last Updated 07/19/2001 | regs@fdic.gov |