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FDIC Federal Register Citations


 


PALMETTO STATE BANK

July 28, 2004

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

Dear Mr. Feldman:

PALMETTO STATE BANK has reviewed the newly published Interagency Guidance on Overdraft Protection Programs, published in Volume 69, Number 109 of the Federal Register on June 7, 2004. We agree that the majority of the proposed guidelines are good, but we would like to comment on a few areas.

I. OVERDRAFT CHARGE OFFS

Palmetto State Bank believes that 30 days is too soon to charge: off an overdraft. Our program allows for several systematic contacts with a customer and provides a monthly. repayment plan for those who wish to cure their overdraft. We would propose not charging off an overdraft until it is aged 60 days.

II. UNUSED COMMITMENT REPORTING

Palmetto State Bank feels that the guidelines proposed to report the amount of unused commitments would not be appropriate We believe that a loss reserve based on the previous performance of our program would more accurately reflect the risk involved with our program.

III. FREE ACCOUNT DISCLOSURES

Palmetto State Bank knows that many financial institutions have offered free accounts and that they are popular with many depositors. While Palmetto State Bank doesn't currently offer this product, it seems logical that clear, conspicuous disclosures in any free account disclosure would be satisfactory.

IV. OVERDRAFT NOTICES

Palmetto State Bank believes that an overdraft notice should be provided each time that an overdraft is created. It would not, however, be possible for our current system to include the additional information or our notices. Therefore, we feel that this guideline should be omitted.

V. REPAYMENT PLAN

Palmetto State Bank has had very good success with the repayment plan that we offer when an overdraft has aged to 30 days. We suggest that performing repayment plans not be charged off.

Thank you for allowing this time for comment. We trust this information will be helpful in your deliberation.

Sincerely,
John R. Peters, III
Vice President


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

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