Office of Comptroller of Currency Announces Enforcement Actions for February 2024
The OCC uses enforcement actions against banks to require the board of directors and management to take timely actions to correct the deficient practices or violations identified. Actions taken against banks are:
* Cease and Desist Order (https://occ.gov/static/enforcement-actions/eaAA-ENF-2023-68.pdf) against
* Cease and Desist Order, Order for Civil Money Penalty, and Gramm-Leach-Bliley Agreement (https://occ.gov/static/enforcement-actions/eaAA-ENF-2024-07.pdf) against
* Formal Agreement (https://occ.gov/static/enforcement-actions/eaAA-CE-2024-01.pdf) with
The OCC uses enforcement actions against an institution-affiliated party (IAP) to deter, encourage correction of, or prevent violations, unsafe or unsound practices, or breaches of fiduciary duty. Enforcement actions against IAPs reinforce the accountability of individuals for their conduct regarding the affairs of a bank. The term "institution-affiliated party," or IAP, is defined in 12
* Order of Prohibition and Order for Civil Money Penalty (https://occ.gov/static/enforcement-actions/eaAA-ENF-2023-71.pdf) against
* Personal Cease and Desist Order (https://occ.gov/static/enforcement-actions/eaAA-ENF-2023-69.pdf) against
* Personal Cease and Desist Order (https://occ.gov/static/enforcement-actions/eaAA-ENF-2023-70.pdf) against
* Order of Prohibition (https://occ.gov/static/enforcement-actions/eaAA-ENF-2023-65.pdf) against
* Order of Prohibition (https://occ.gov/static/enforcement-actions/eaAA-ENF-2024-09.pdf) against Chimere
* Order of Prohibition (https://occ.gov/static/enforcement-actions/eaAA-ENF-2024-06.pdf) against
* Decision on Entry of Default and Order of Prohibition (https://occ.gov/static/enforcement-actions/eaAA-ENF-2021-23.pdf) against Nyema'sha Taylor, Former Teller at an
* Order of Prohibition (https://occ.gov/static/enforcement-actions/eaAA-ENF-2023-42.pdf) against
* Order of Prohibition (https://occ.gov/static/enforcement-actions/eaAA-ENF-2023-67.pdf) against
The OCC terminates enforcement actions including when a bank has demonstrated compliance with all articles of an enforcement action or when the OCC determines that articles deemed "not in compliance" have become outdated or irrelevant to the bank's current circumstances. Termination actions include:
* Order Terminating the Cease and Desist Order (https://occ.gov/static/enforcement-actions/eaAA-ENF-2024-11.pdf) against
To receive alerts for news releases announcing public OCC enforcement actions, subscribe to OCC Email Updates (https://www.occ.gov/publications-and-resources/tools/occ-email-updates/index-occ-email-updates.html).
All OCC public enforcement actions taken since
Related Link
* Enforcement Action Types (https://www.occ.gov/topics/laws-and-regulations/enforcement-actions/enforcement-action-types/index-enforcement-action-types.html)
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Original text here: https://www.occ.gov/news-issuances/news-releases/2024/nr-occ-2024-15.html
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