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FDIC Federal Register Citations


FIRST HAWAIIAN BANK

August 6, 2004


Robert E. Feldman
Executive Secretary
Attention: Comments
Federal Deposit Insurance Corporation
550 17th Street, N.W.
Washington, DC 20429

Subject: Docket No. OP-1198; Proposed Interagency Guidance on Overdraft Protection

Dear Mr. Feldman:

Thank you for allowing us the opportunity to comment on the proposed Interagency Guidance on Overdraft Protection. First Hawaiian Bank is a $10 billion FDIC-regulated institution with 56 branches in Hawaii, 3 in Guam and 2 in Saipan. We offer a full line of banking services including numerous deposit, loan and credit card products.

We understand that our customers will periodically be faced with an inadvertent overdraft. To assist in these situations, we offer an overdraft line of credit, allow customers to link accounts and may approve an overdraft on an account. The decision to pay an overdraft item is based on various factors and the customer’s relationship with the bank. To assist with the high volume of overdraft situations, the bank created an internal decision-making tool that makes preliminary decisions on whether to pay or return an overdraft item. When the amount of the overdraft exceeds a specific dollar threshold, the overdraft decisions are reviewed manually. Unless the bank has a formal overdraft line of credit agreement or linked account agreement, a customer may only withdraw available funds from an ATM and is not allowed to overdraw.

When an overdraft occurs, the bank charges the same fee whether or not the overdrawn check is paid or returned. In addition, the customer is immediately notified of the overdrawn status and associated fee.

Since the decision to pay an overdraft item is a customer service decision and discretionary, the bank does not advise customers of this process, does not advise customers of an acceptable overdraft limit and does not advertise this service.

The following are our comments to the proposed guidance:


Consistent Terminology and Clear Definitions.
The guidelines should include consistent terminology to describe an Overdraft Protection Program (“ODPP”) and a clear definition to explain what an ODPP would include. The ODPP definition should include marketed programs that set limits for each account and communicate those limits to customers.

In addition, there should be consistent terminology to describe internal decision-making tools (“IDMTs”) that banks often use to review overdrawn accounts. IDMTs would include situations where the bank has established an internal procedure to determine whether to pay or return an overdraft item. The internal procedure is not conveyed or marketed to the customer.

The selected terminology should be clearly defined and used consistently throughout the guidance.

Proposed Guidance Should Only Cover ODPP’s (not IHP’s).
We believe the guidance should only apply to ODPPs since this appears to be the area of concern. We are not aware of any credit (safety and soundness), legal, reputation or other risks associated with IDMTs and we are not aware of any complaints related to the fact that a check was paid rather than returned when an IDMT is used. Requiring banks with IDMTs to follow these guidelines could result in the unintended consequence of either discouraging banks from offering this service, or compelling all banks to offer ODPP’s rather than using IDMT’s in order to meet the competition. Subjecting banks that only use IDMT’s to this guidance will result in unnecessary burden in time and costs with little, if any, additional benefit to the consumer.

Thank you for consideration of our comments. As a bank that uses an IDMT rather than an ODPP, we feel strongly that steps taken to address your concerns about ODPPs should not affect banks that do not offer ODPPs.

If you have any questions or would like additional information, please feel free to contact me at 808-525-5111.

Sincerely,

FIRST HAWAIIAN BANK

Joyce W. Borthwick
Senior Vice President & Chief Compliance Officer
Corporate Compliance Division


 

 

   

   

Last Updated 08/10/2004 regs@fdic.gov

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