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Proposed Rule: Inflationary Adjustments to Regulation CC

michaelchristians • December 10, 2018

Today the Consumer Financial Protection Bureau published a proposed rule in the Federal Register which will make several substantive changes to Regulation CC (The Expedited Funds Availability Act).

First, as required by Section 208 of the Economic Growth, Regulatory Relief and Consumer Protection Act, the proposed rule would bring financial institutions located in the following jurisdictions within the scope of Regulation CC’s requirements:

  • American Samoa
  • The Commonwealth of the Northern Mariana Islands
  • Guam

Second, the proposed rule implements a statutory provision found in Section 1086(f) of the Dodd-Frank Wall Street Reform and Consumer Protection Act that mandates certain thresholds within Regulation CC be adjusted every 5 years based on the annual percentage increase to the Consumer Price Index for Urban Wage Earners and Clerical Workers (“CPI-W”). The proposal states that the effective date for the first round of inflationary adjustments would be April 1, 2020 with further adjustments occurring April 1st of every fifth year thereafter.

The changes to the availability thresholds within Regulation CC would be as follows:

Threshold Current Proposed
Next Day Availability $200 on the next business day following the date of deposit $225 on the next business day following the date of deposit
Exception Hold for New Accounts Delay the availability of funds in excess of $5,000 deposited to a new account Delay the availability of funds in excess of $5,525 deposited to a new account
Exception Hold for Large Deposits Delay the availability of funds deposited in excess of $5,000 Delay the availability of funds deposited in excess of $5,525

The proposed rule would also:

  • Adjust the definition of what constitutes a repeatedly overdrawn account; and
  • Raise the civil liability exposure for financial institutions in both individual and class actions for repeated violations of Regulation CC’s requirements.

Comments on the proposed rule are due on or before February 8, 2019.

For more information, please contact Michael Christians Consulting, LLC at michael@mchristiansconsulting.com.

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