Expedited Funds Availability Act

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The Expedited Funds Availability Act (EFA or EFAA) was enacted in 1987 by the United States Congress for the purpose of standardizing hold periods on deposits made to commercial banks and to regulate institutions' use of deposit holds. It is also referred to as Regulation CC or Reg CC, after the Federal Reserve regulation that implements the act. The law is codified in Title 12, Chapter 40 of the US Code and Title 12, Part 229 of the Code of Federal Regulations[1].


Contents

[edit] Disclosure

Financial institutions must disclose their hold policies to all account holders, and make the policy available in written form upon request by any customer. It must also be provided at the time of opening of all new accounts.

Additional disclosures are required on deposit slips, at ATMs, and when the policy is changed in any way.

[edit] Types of Holds

Regulation CC stipulates four types of holds that a bank may place on a check deposit at its discretion. Each has its own qualifications and it is legal for the bank to place any type where the requirements are met, although bank policy may instruct that the type of hold placed be the one that holds the most funds the longest that can be applied legally.

Furthermore, each type of hold has varying availability schedules based on whether the check is local or non-local. This status is determined by the federal reserve bank referenced by the routing number. In all federal reserve districts, save Kansas City and St. Louis, the check must be drawn from the same federal reserve district as the depository institution. In banks in either the Kansas City or St. Louis districts, either is considered local.

Hold Type Necessary Requirements Local Availability Non-Local Availability
Statutory No other hold applies, can be placed almost anytime. $100 1st Business Day Following Deposit, Remainder 2nd Business Day $100 1st Business Day Following Deposit, 5th Business Day
Large Deposit Aggregate total of checks deposited into one account on one business day is greater than $5000.00. $100 1st Business Day Following Deposit, $4900 2nd Business Day, Remainder 5th Business Day $100 1st Business Day Following Deposit, $4900 5th Business Day, Remainder 9th Business Day
New Account The account being deposited into has been open for less than 30 days. 9th Business Day 9th Business Day
Exception
Account has been overdrawn for six or more business days of the previous six months. (NSF Hold)
Account has been overdrawn for two or more business days in excess of $5000 in the previous six months. (NSF Hold)
The depository bank has reason to doubt the check is good. (The paying bank indicates the check will not clear, is suspected to be fraudulent, or is either postdated or staledated.)
The item being deposited is a legal copy of an item previously returned for NSF (an IRD).
Item is accepted for deposit during a power outage or computer failure. (Extremely Rare)
7th Business Day 11th Business Day

There are a few exceptions to these guidelines that are important to note. If an account owner is depositing into an account that does not qualify for the exception hold but also owns another account that does qualify, then the Exception NSF Hold can be placed. In the same manner, if an account owner is depositing into an account that has been open for less than 30 days but owns another account that has been open greater than 30 days, the New Account Hold cannot be legally placed.

There are certain items that present less risk to financial institutions and thus are subject to expedited availability under the stipulations of Regulation CC. The following items must have the first $5000 available for the Statutory, Large Deposit and New Account Hold by the first business day following the deposit:

  • Cashier's checks*, Certified Checks, or Teller's Checks**;
  • Postal money orders;
  • US Treasury checks;
  • Federal Reserve Home Loan checks;
  • Any check issued by a state, city, county, or other municipality;
  • Any check drawn from another account at the depository institution.

For each of these items, the item must be presented for deposit into the payee's account for it to receive expedited fund availability. When one of these checks is presented for deposit into a third party account, it loses its preferential treatment.

*Regulation CC defines a Cashier's Check only as a check that is issued by a bank, drawn on that same bank, is a direct liability of the bank, and signed by one or more officers of that bank. "Official Checks" or "Bank Checks" do not always qualify as Cashier's Checks as defined by Regulation CC.

**A Teller's Check may only be issued by a Federal Credit Union and must meet the above requirements for a Cashier's Check with the exception that it must be drawn off that credit union's depository account at a federal bank.

[edit] Payment of interest

According to the regulation, interest-bearing accounts shall receive earnings from funds from the time they are collected by the depositary institution, regardless of hold lengths.

[edit] Enforcement

Under the act, enforcement is divided by the type of institution, respective to each type's mandated oversight authority:

Awards for damages are limited under the regulation, including not more than $1000 in addition to actual damages for individual actions, and not more than the lesser of $500,000 or 1% of the net worth of the bank, in addition to actual damages, for class actions.

[edit] See also

[edit] Notes

  1. ^  12 USC 40 can be viewed here, on the website of the Legal Information Institute at Cornell Law School. Text of 12 CFR 229 can be viewed here, through the GPO.