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FDIC Federal Register Citations

WILLIAMSBURG FIRST NATIONAL BANK

July 19, 2004

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

Dear Mr. Feldman,

I appreciate the opportunity to comment on the proposed guidelines concerning Overdraft Protection Programs currently being offered by many banks. The following comments are offered relating to the proposed guidelines:

The regulations, if adopted would require that all overdrafts be charged off after thirty (30) days. We have a process in place which we feel is fair to the customer and does not create excessive risks for the bank. Overdrafts are carried up to sixty (60) days prior to being charged off. Through the end of June 2004, our demand deposits averaged $32,000,000 and total deposits averaged $63,000,000. The average overdraft balances for the first six months of the year was $60,000 which poses very little risk to the bank.

The second item I would like to address in the proposal concerns unused commitments. Our bank and most banks I have talked to give special consideration to any overdrafts outstanding under our overdraft program when calculating the bank's loan loss reserve. In our opinion, reporting in the manner suggested in the guidelines would greatly overstate the risks associated with this service.

Most financial institutions in our area have accounts which are advertised as free accounts. Most of these accounts, if not all, do access charges to customers when certain services other than account activity is rendered to the customer. We advocate continuing to allow the advertising of free accounts as long as conspicuous disclaimers are included making it clear that other restrictions or other fees may apply.

Our bank gives the customer a notice every time a check is posted to the customer's account. This notice includes any service fees and the amount the account is overdrawn. We feel that this is more than adequate notice and object to the mandatory inclusion of additional information suggested by the guidelines. Many systems will not accommodate the inclusion of the type of information suggested without considerable expense and adjustment.

Thank you again for the opportunity to comment on the proposed guidelines. Please feel free to contact me if I can be of any further assistance.

Sincerely,

Jim M. Cherry, Jr.
President
Williamsburg First National Bank
Kingstree, SC 29556

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

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