Remove 2024 Remove Compliance Remove Management Remove Security
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Top 6 Trends for the Banking Industry in 2024

Perficient

This blog was co-authored by Perficient’s Chief Strategist and banking expert: Scott Albahary A slowing global economy, coupled with a divergent economic landscape, poses challenges for the banking industry in 2024. Facilitation of embedded lending while ensuring compliance: Embedded finance initiatives must adhere to regulatory requirements.

Trends 221
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Acquisition and integration considerations for banks in 2024

Abrigo

FDIC list The state of acquisitions in a rising rate environment According to the FDIC, there were 44 banks on the problem bank list in the third quarter of 2023, and the agency expects that number to continue to climb in 2024. Can your systems perform the critical day 2 accounting for accretion and amortization?

FDIC 195
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10 Bank Technology Trends to Follow for 2024

South State Correspondent

Coming Up with Our Top 10 Bank Technology Trends List for 2024 To come up with our Top ten list, we fed the content from multiple conferences (Money 20/20, AFP, ABA, Natcha, BAI, American Banker, etc.), At present, many banks utilize a variety of fraud and security tools that both overlap and have gaps in coverage.

Trends 195
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NYSDFS Part 500 Cyber Amendments Finalized: What You Need to Know

Perficient

The NYSDFS Part 500 amendments signal a crucial shift in the financial services regulatory landscape and underscore the importance of robust governance, risk management, and compliance frameworks. Impacted institutions are subject to significant fines relative to the level of non-compliance identified by the regulators.

New York 221
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DFS500 Amendments: What You Need to Know

Perficient

These DFS500 amendments signal a crucial shift in the regulatory landscape, emphasizing the imperative for robust governance, risk management, and compliance frameworks across the financial industry. Impacted institutions are subject to significant fines relative to the level of non-compliance identified by the regulators.

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Beneficial ownership: Final rule and its impacts on AML programs

Abrigo

1, 2024, many companies must begin reporting information about who ultimately owns or controls them to a federal beneficial ownership registry. 1, 2024, many companies are required to begin reporting to the U.S. 1, 2024, have one year (i.e., 1, 2024) of the BOI Reporting Rule. Effective Jan. Department of Treasury 2.

Fraud 221
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Future-Proofing Financial Services: Rule 3110 Updates Empower Brokers

Perficient

However, as remote work has become the new norm, the Securities Exchange Commission (SEC) has provided its approval to revise Rule 3110, easing the requirements for brokers choosing to work from home. Additionally, these branches underwent annual on-site inspections to ensure compliance with regulations. What’s New?