Compliance Management System Flashcards

1
Q

What is inherent risk?

A

The level of risk before controls are applied

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2
Q

What is residual risk?

A

The level of risk after controls are applied

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3
Q

Risk assessments should include these risks and what else in the calculation?

A

Residual and inherent risks as well as the exposure and likelihood of the risk occurring.

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4
Q

A good CMS should include these 5 things.

A
  1. Manage compliance risk
  2. Mitigate compliance risk
  3. Have a formalized risk assessment
  4. Reporting to management
  5. Apply the CMS
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5
Q

What are risk controls?

A

Mechanisms that management deploys to manage the stated risks, such as ongoing training, automation, self-monitoring and so on.

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6
Q

What is a risk trend?

A

Shows the direction of risk and probable change to risk over the next 12 months.

Increasing risk = additional action like more controls or reviews.

Stable = no action

Decreasing risk = less controls and improved efficiencies.

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7
Q

A compliance professional is a member of the task force studying how the bank can reduce customer complaints about holding deposits. One proposed solution involves purchasing an expensive system that will reduce the number of holds placed by evaluating the customer’s history and relationship with the bank. Which of the following roles is MOST important for the compliance professional on the task force?

a. Developing training for tellers who will use the new system
b. Setting parameters for what the system should review to determine the strength of the customer relationship
c. Validating the system to ensure it complies with regulatory restrictions
d. Conducting a cost-benefit analysis to determine if the system is the best solution

A

c. Validating the system to ensure it complies with regulatory restrictions.

The compliance professional’s role on the task force is to provide knowledge about compliance risk, such as whether the system is in compliance with relevant laws and regulations. The training, parameters and the cost-benefit analysis are more operational in nature.

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8
Q

Legislation was recently enacted to reform consumer real estate protection laws, and the bank will now have to change the way it documents, discloses, and advertises real estate loans, an integral product line at your bank. What should the compliance professional do FIRST to implement the new law within the bank?

a. Read the law and write a new real estate compliance policy
b. Form a task force with the business unit managers whose departments will be affected by the law to collectively form an action plan
c. Talk to the bank president about the need for more resources in compliance
d. Sign up all bank personnel affected by the changes for a seminar on the new law

A

b. Form a task force with the business unit managers whose departments will be affected by the law to collectively form an action plan.

When implementing new rules, it is beneficial to start with a task force of affected managers that can make decisions about how to implement the new rule. The other actions would eventually become necessary, but it would be timlier to write the new policy and then develop training only after the compliance professional has a clearer idea of the needed actions. Talking to the bank president about resources would not be helpful to implementing new legislation, unless it can be shown as necessary to complying as the business units have chosen.

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9
Q

A bank’s president would like to begin offering a new home equity line of credit product within two weeks. In all cases the borrower’s principal dwelling will secure the loan. The president has already launched a planned advertising campaign for the bank’s major service markets. What should the compliance professional do FIRST?

a. Hire an attorney to write the appropriate legal documents and disclosures.
b. Write a memo to the president explaining why the compliance professional should have been in on the process at an earlier date.
c. Begin training sessions for the lending and loan operations staff on the compliance issues involved.
d. Perform a risk assessment to determine the bank’s level of risk in offering this new product.

A

d. Perform a risk assessment to determine the bank’s level of risk in offering this new product.

Before going forward, the compliance professional needs to determine what level and types of risk are involved. It is possible the new product is similar to an existing product and the new offering will not increase the bank’s risk. After determining the risk, the compliance professional will know better how to proceed.

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10
Q

A bank has a large mortgage department as well as a high HMDA error rate. An expensive software program could automate the process, but the business unit manager does not want to purchase the software because of its expense. Though it is not as efficient, the manager prefers to make some improvements to the manual process, add some more robust monitoring procedures and opt not to purchase the software. What should the compliance professional do?

a. Elevate the issue to a higher authority to force the mortgage department to purchase the software.
b. Nothing; the compliance professional’s job is done with the completed research.
c. Document the fact that the level of risk present with manual systems is acceptable to the mortgage department BU.
d. Write a memo to the president of the bank that explains the risk assessment for this area.

A

c. Document the fact that the level of risk present with manual systems is acceptable to the mortgage department BU.

The job of the compliance officer is to assess the risks and inform management of those risks. The business unit can decide what level of risk to accept. If the high level of HMDA errors continues, even with the improved procedures, the problem can be escalated and brought to senior management’s attention.

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11
Q

The federal banking agencies have proposed an amendment to Regulation Z that would require a new early disclosure statement for loans secured by the borrower’s principal dwelling. After first reading the proposed change, what should the compliance professional do first?

a. Establish a task force to study the proposed rule.
b. Contact the bank’s platform software vendor to determine whether it will be ready for the change.
c. Prepare a summary document that outlines the effects the proposed rule would have on the bank’s operations.
d. Train bank staff on the new rule.

A

c. Prepare a summary document that outlines the effects the proposed rule would have on the bank’s operations.

The proposed change is important to the bank. The compliance professional should first analyze its effect and provide that summary to the affected business units, and then establish a task force to study the proposal. Contacting the vendor may be part of the risk considered by the task force. Training bank staff regarding the new rule is not appropriate until the rule is final. Proposed rules sometimes do not become final or may change with the final ruling.

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12
Q

During a recent compliance exam, regulatory examiners found that the bank was not conducting flood hazard area determinations before closing on construction loans. The compliance professional has reviewed the files and agreed with the examiners’ findings. What should be done FIRST?

a. Review the bank’s flood policies and procedures to determine where the compliance failure occurred.
b. Conduct a risk assessment of the flood determination requirement on construction loans.
c. Prepare an analysis for bank management explaining the requirement.
d. Review all construction loan files to determine the extent of the problem.

A

a. Review the bank’s flood policies and procedures to determine where the compliance failure occurred.

If the compliance professional agrees with the regulators on a finding, the root cause of the error must be determined by consulting policies and procedures. There is no benefit to conducting a risk assessment because the issue is known. After determining the cause, then the extent of the problem must be determined. Only after gathering this pertinent information can the compliance professional write an analysis for management explaining the situation.

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13
Q

When developing a training plan for commercial lenders, which of the following regulations is least important to include?

a. ECOA
b. HMDA
c. Reg O
d. TILA

A

d. TILA

The compliance professional should risk manage the training program. A commercial group needs to know the rules for fair lending, HMDA, and insider lending. Reg Z is more relevant for the consumer lending audience.

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14
Q

During a recent compliance examination, regulators cited the bank for violations of various marketing regulations. How should the compliance professional FIRST respond?

a. Contact the bank’s marketing manager to discuss the finding.
b. Develop a policy requiring that all marketing materials be reviewed and approved by compliance before being published.
c. Set up a training class for the marketing department.
d. Review the marketing materials and applicable regulations to verify the finding.

A

d. Review the marketing materials and applicable regulations to verify the finding.

When a bank is cited for a regulatory violation, the compliance professional must first determine whether the bank should agree with it. It is done by reviewing the pertinent regulations and affected materials. If the citation is supported by the regulations, then the compliance manager should discuss it with the marketing manager. Solutions may include training marketing personnel or establishing new policies for reviews.

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15
Q

One of the basic elements of a compliance program is:

a. A full-time compliance officer who is a CRCM
b. Ongoing monitoring to evaluate the program’s adherence to compliance policies and procedures
c. Monthly reporting to the board of directors
d. Access to outside or in-house legal counsel

A

b. Ongoing monitoring to evaluate the program’s adherence to compliance policies and procedures

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16
Q

Which one of the following would NOT be a key compliance risk indicator?

a. Management experience
b. Staff turnover
c. Season of the year
d. Transaction volume and size

A

c. Season of the year

17
Q

Since coming on board as compliance officer a few months ago you have been reporting to the bank’s Chief Credit Officer. At a meeting, the Chief Credit Officer (your boss) expresses his concern that he may not be the appropriate place in the organization for the compliance officer function to be reporting to. What would be the BEST response to him?

a. Reassure the boss that you think reporting to him is perfectly fine
b. Tell him that the regulators require that a compliance officer report to the bank president and that you should too
c. Tell him that you don’t care who you report to
d. Tell him that many banks have the compliance officer position report directly to the president in order to give the position sufficient authority within the organization

A

d. Tell him that many banks have the compliance officer position report directly to the president in order to give the position sufficient authority within the organization

18
Q

A bank has been criticized by its regulators for weaknesses in its compliance training program. Bank management has asked the compliance officer to fix the problem. What should the compliance officer do FIRST?

a. Hire additional staff to conduct compliance training for all affected areas of the bank
b. Identify what the weaknesses in the training program are
c. Purchase software to track training attendance
d. Schedule training as soon as possible on a hot topic such as fair lending or Bank Secrecy Act

A

b. Identify what the weaknesses in the training program are

19
Q

What is residual risk?

a. The level of risk before controls are applied
b. The level of risk that management elects to assume
c. The level of risk remaining after controls are applied
d. The level of risk assumed to be acceptable to the regulators

A

c. The level of risk remaining after controls are applied

20
Q

As part of an effective compliance management program a compliance officer can monitor customer complaints received by the bank for the purpose of:

a. Verifying the bank’s compliance with Regulation AA
b. Identifying possible product and service enhancements
c. Identifying regulatory compliance problems in bank operations
d. Identifying customers who should be monitored for suspicious activity

A

c. Identifying regulatory compliance problems in bank operations

21
Q

You, as compliance manager for the bank, are asked to participate in a meeting to plan a training program for commercial loan officers for the upcoming year. Which of the following regulatory topics would you recommend to be included in the training program?

a. What constitutes a changed circumstance
b. Adverse action notification procedures
c. Ability to repay guidelines
d. Early disclosure timing requirements

A

b. Adverse action notification procedures