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FDIC Federal Register Citations





REDDING BANK OF COMMERCE


July 29, 2004

Mr. Robert E. Feldman
Executive Secretary
Federal Deposit Insurance Corporation
550 17th Street N.W.
Washington, D.C. 20429

Attn: Comments

Dear Mr. Feldman,

I am writing in response to the Interagency Guidance on Overdraft Protection Programs request for comments regarding overdraft protection programs. I am enclosing a position statement prepared by Sam Jimenez, our Director of Risk Management. The comments represent those of the Directors and management of the company. I would like to direct you attention to the discussion regarding Other Consumer Considerations and strongly recommend adoption of our recommendation.

Please feel free to contact me directly with and questions or comments.

Sincerely,
Michael C. Mayer
President and Chief Executive Officer

cc: U. S. Senator Diane Feinstein
U. S. Congressman Wally Herger
California Department of Financial Institutions
California Bankers Association


Comments on Interagency Guidance on Overdraft Protection Programs

The following commentary is in response to the proposed Interagency Guidance on Overdraft Protection programs. Overall Redding Bank of Commerce (RBC) agrees with all of the proposed guidance with the exception of the 30-day charge-off proposition.

Background

RBC recently introduced its customers to an overdraft protection program called Overdraft Privilege (OP). Our discretionary OP service has all of the characteristics detailed in the proposed guidance including criteria-based automatic coverage, paid overdrafts up to an aggregate limit, flat fees for every item paid, and installment loans for repayment of overdrafts and fees.

We feel that our overdraft program is a viable product. The OP product provides our customers with a service that meets their needs for convenience and flexibility in funds management. Management has already implemented a number of controls outlined in the proposal. We have made all of the proper disclosures; we are monitoring our customer's use of this service and are making provisions to the bank's Allowance for Loan and Lease Losses. Additionally, RBC management is currently evaluating the industry's best practices and will implement all relevant and applicable measures.

Safety and Soundness Considerations

With the exception of the 30-day charge off timeframe, RBC agrees with the proposed interagency guidance. Written policies and procedures addressing credit, operational, and other risks are prudent and consistent with the bank's risk management philosophy and sound banking practices.

Although credit underwriting is not part of our OP program, a 30-day charge off timeframe is inconsistent with the characteristics and associated risks with this type of product. RBC's OP service as with many other institutions has a "Fresh Start" repayment plan feature. The repayment plan is a short-term (the repayment period can be up to a maximum range of six to nine months) installment loan with no fees or finance charges that allows customers to repay their overdrafts and fees. This feature or installment loan is not offered until an account is overdrawn for more than 30 consecutive days in an amount greater than $100.

A more reasonable charge off timeframe should correspond to the characteristics of the OP product. As with any unsecured loan, borrower performance along with repayment ability dictate whether a credit remains a bankable asset. A 60 day charge off timeframe from the day the overdraft(s) occurs would allow the customer 30 days to demonstrate repayment ability and intent. Additionally, RBC reserves 100% of all "Fresh Start" loans in the bank's Allowance for Loan and Lease Losses thereby fully recognizing the risk in these relatively small and short-term credits. Should a 30-day charge off be required, the repayment program will effectively be eliminated and replaced with collection efforts and recoveries. This could hamper and possibly eliminate RBC's and many other commur'ty' banks ability to serve its customers with OP and other innovative financial products.

Legal Risks

RBC is confident that our product complies with all applicable Federal laws and regulations. We have conducted a thorough review of our vendor and believe our due diligence regarding this product is complete.

Other Consumer Considerations

RBC is committed to serving its customers in a fair and respectful manner. However, it has come to our attention that other bank(s) in Northern California are not operating under the same commitment. One such bank offers "free checking" to attract new customers to its branches. However, unbeknown to these customers, the bank processes their checks in order of the largest dollar items to the smallest. Under this method, should the customer be overdrawn, the bank will benefit with larger overdraft fees on a per item basis. RBC processes its customer's checks by check number order or on a non-discriminatory basis. Banks that process checks in a discriminatory or large dollar checks first basis are acting in an unfair and deceptive manner. At a minimum, these types of practices should be disclosed to its customers. We feel that the FFIEC should address this issue under this proposed guidance or other existing directives.

Best Practices

As previously stated, overall, RBC agrees with the proposed regulatory guidance on Overdraft Protection including the industry's best practices. We are viewing this proposal as an opportunity to review our current OP procedures and will implement any and all of the industry's practices that best serve our customers.

Thank you for the opportunity to comment on the proposed guidance.

Respectfully,

Samuel D. Jimenez
Vice President Director of Risk Management
Bank of Commerce Holdings



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

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