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Model Risk Management: Regulatory Priorities and Best Practices

Abrigo

Meet Model Risk Management Expectations Updates to the FDIC Risk Management Manual should steer institutions toward a model that manages risk and drives growth. Takeaway 1 Aside from meeting examiner expectations, proper model risk management can protect your institution from unnecessary risk. .

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Does your bank need cyber insurance?

Independent Banker

Cyber insurance not only provides financial reimbursement for losses; it also equips the insured with access to a list of preapproved incident response experts that are required to help the bank manage a cyber event. Liability policies respond to lawsuits or any regulatory action and fines that result from a cyber event.

Montana 152
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Compliance changes to watch in 2023

Independent Banker

From new fee practices to peer-to-peer fraud, keep an eye on what regulatory changes could be developing in the new year. The FDIC’s long-term goal for the reserve ratio of insured deposits. Source: FDIC. Climate-related risk. Peer-to-peer fraud. Illustration by Monster Ztudio/Adobe. By Mary Thorson Wright.

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10 Top Banking Podcasts You Should be Listening to

Abrigo

Podcasts for Bank & Credit Union Execs & Staff Are Plentiful; Here Are 10 Good Ones These banking podcasts discuss current events, strategic and policy issues, competition, digitalization advice, and more. Fraud Prevention. Lending & Credit Risk. Portfolio Risk & CECL. Stay up to Date. Learn More.

Community 195
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April 2014: A Busy Month for Fraud Alerts!

Jack Henry

In light of the ATM cash-out schemes that had taken place recently, an alert was issued to provide details on how this type of fraud had occurred, the risks presented to financial institutions (FIs), and what FIs could do to mitigate these risks. Ensure adherence to appropriate patch management policy and procedures.

Fraud 88
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Bank Board Reports: War and Peace or Cliff Notes?

Jeff For Banks

We don't want to be criticized that our Board was uninformed, so that little embarrassment about the audit exception that turned into employee fraud is on page 262 of your Board report. High level risk management reports (because more granular risk reports are reviewed in Committee) and trends. You mean you didn't see it?

Report 60
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Treasury report on bank/fintech relationships includes recommendations for CFPB supervision of non-bank installment lenders and data aggregators

CFPB Monitor

The Federal Reserve, FDIC, and OCC should finalize the interagency guidance for banks on managing risks associated with third-party relationships that was proposed in July 2021. This includes IDIs acting as lenders in bank/fintech partnerships.

Fintech 78