The FACT Act – An Overview
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The FACT Act – An Overview
The FACT Act
An Overview of the Final Rulemaking on Identity Theft Red Flags and
Address Discrepancies
Naomi LefkovitzAttorney, Division of Privacy and Identity ProtectionFederal Trade Commission
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Statutory Provisions Implemented
The Fair and Accurate Credit Transactions Act of 2003 (FACT Act) amended the Fair Credit Reporting Act (FCRA)
Sections 114 and 315 of the FACT Act
Rules: 72 Fed. Reg. 63718 (November 9, 2007)
http://www.ftc.gov/os/fedreg/2007/november/071109redflags.pdf
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Background
Joint rulemaking Final rules published November 9, 2007 Full compliance required by November 1, 2008
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Identity Theft Red Flags
FACT Act Section 114
FCRA Section 615(e)
16 CFR 681.2 and 681.3
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Identity Theft Red Flags
Risk-based final rule Guidelines (Appendix A) Supplement A (26 examples of red flags)
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Purpose of the Red Flags Rule
To detect and stop identity thieves using someone else’s identifying information at your institution to commit fraud.
Distinct from data security
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Covered Entities
“Financial institutions” and “creditors” must conduct a periodic risk assessment to determine if they have “covered accounts.”
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Definitions
From the FCRA, a “financial institution” is:
A state or national bank A state or federal savings and loan association A mutual savings bank A state or federal credit union, or Any other person that directly or indirectly holds a
transaction account* belonging to a consumer
* From the Federal Reserve Act, Sec. 19(b) - an account that allows withdrawals by negotiable or transferable instrument, payment orders of withdrawal, telephone transfers, or similar items to make payments or transfers to 3rd persons or others.
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Definitions (cont’d)
From ECOA, a “creditor” is:
Any person who regularly extends, renews, or continues credit
Any person who regularly arranges for the extension, renewal, or continuation of credit, or
Any assignee of an original creditor who participates in the decision to extend, renew, or continue credit
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Definitions (cont’d)
An “account” is: a continuing relationship established by a
person with an FI or creditor to obtain a product or service for personal, household, or business purposes.
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Definitions (cont’d)
A “covered account” is:
A consumer account designed to permit multiple
payments or transactions, and Any other account for which there is a reasonably
foreseeable risk from identity theft
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Scenario #1
Rural U. has about 1100 students and is located in a small town surrounded by miles of farmland. Tuition is due before classes begin, but a few students are permitted to pay on an installment plan. Students can use cash, credit card, or their student photo ID card for various goods and services on the campus such as at the bookstore or the health clinic. For students who use their ID card, the bookstore sends a bill due upon receipt. The health clinic also bills for amounts unpaid by insurance.
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Scenario #2
Metro U. serves about 40,000 students in an urban setting. It has many graduate schools, and is affiliated with a hospital. Students have a variety of loan options, including the Perkins Loan Program. In many cases, loan amounts are applied directly to tuition, but students can also get checks directly for living expenses. Metro U. also provides students with a debit card, Metrobucks, linked to a prepaid declining balance account. Students can use the Metrobucks card on and off campus to purchase food, books, etc. Students also have the option to link the Metrobucks card to a checking account at Big Bank.
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Program Requirement
Financial institutions and creditors with covered accounts must implement a written Identity Theft Prevention Program to detect, prevent, and mitigate identity theft in connection with: the opening of a covered account, or any existing covered account
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Program Requirement (con’t)
The Program must be appropriate to the size and complexity of the financial institution or creditor and the nature and scope of activities.
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Elements of the Program Must include reasonable policies and procedures to:
Identify relevant red flags* and incorporate them into the Program
Detect red flags that are part of the Program Respond appropriately to any red flags that are detected Ensure the Program is updated periodically to address
changing risks
* A red flag is a pattern, practice, or specific activity that could indicate identity theft
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Administration of the Program
Obtain approval of the initial Program by the board or a committee thereof
Thereafter may designate a senior management employee to oversee: Development, implementation, and administration of
the Program Training of appropriate staff Service provider arrangements
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Consideration of the Guidelines
Rules require:
Consideration of the Guidelines Incorporation of appropriate Guidelines into the Program
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Identity Theft
Red Flag Guidelines
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Overview of the Guidelines
I. Incorporate existing policies and procedures
II. Identify relevant red flags
III. Procedures to detect red flags
IV. Appropriate responses to red flags
V. Periodic updating of the Program
VI. Administering the Program
VII. Other legal requirements
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I. Incorporate Existing Policies and Procedures
Existing anti-fraud program Information security program
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II. Identify Relevant Red Flags
Risk factors for identifying relevant red flags are:
Types of covered accounts offered or maintained Methods provided to open or access covered
accounts Previous experiences with identity theft
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II. Identify Relevant Red Flags (cont’d)
Sources of red flags are:
Incidents of identity theft that have been experienced
Methods of identity theft reflecting changes in identity theft risks
Applicable supervisory guidance
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II. Identify Relevant Red Flags (cont’d)
Five categories of red flags* are:
Alerts, notifications, or other warnings received from consumer reporting agencies or service providers
Presentation of suspicious documents Presentation of suspicious personal identifying information Unusual use of, or other suspicious activity related to, a covered
account Notice from customers, victims of identity theft, or law enforcement
authorities
* 26 examples are found in Supplement A
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III. Procedures to Detect Red Flags
Verify identity Authenticate customers Monitor transactions Verify validity of address changes
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IV. Appropriate Responses to Red Flags
Monitor accounts Contact customer Change passwords Close and reopen account Refuse to open account Don’t collect on or sell account (against the true
consumer) Notify law enforcement No response is warranted
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V. Periodic Updating of the Program
Experience with identity theft Changes in methods of identity theft Changes in methods to detect, prevent, and
mitigate identity theft Changes in types of accounts offered Changes in business arrangements
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VI. Administering the Program
Oversight of the Program by the Board or a senior management employee involves:
Assigning specific responsibility for
implementation Reviewing reports Approving material changes in the Program
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VI. Administering the Program (cont’d)
Reports to the Board or senior management employee: At least annually Address material matters
Service provider arrangements Effectiveness of the policies and procedures in
addressing the risk of identity theft in connection with covered accounts
Significant incidents involving identity theft and management’s response
Recommendations for material changes to the Program
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VI. Administering the Program (cont’d)
Oversight of service providers:
Ensure the service provider’s activities are
conducted in accordance with reasonable policies
and procedures designed to detect, prevent, and
mitigate the risk of identity theft
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VII. Other Legal Requirements
Suspicious Activity Reports (SARs) Other FCRA provisions (e.g. 15 U.S.C. 1681s-2,
information furnisher duties to update or correct inaccurate information, and not report inaccurate information)
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Examples of Red Flags (Supp. A)
Warning from consumer reporting agencies
Suspicious documents
Suspicious personal information
Inconsistent with external information sources
Documents provided for identification appear to be altered
Fraud or active duty alert included in consumer report
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Examples of Red Flags (cont’d)
Unusual use of account
Notice from customers Customer notifies institution about identity theft.
Account used in a manner that is not consistent with historical patterns of activity
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Enforcement of Red Flags Rules
Administrative enforcement under Section 621 of the FCRA.
No private right of action State Attorneys General No criminal penalties
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Don’t Panic!
The Programs are risk-based and flexible.
Consider the bigger picture.
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Rule on
Duties of Card Issuers Regarding Changes of
Address
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Identity Theft Red Flags
FACT Act Section 114
FCRA Section 615(e)
16 CFR 681.3
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Covered Entities
Financial institutions or creditors that issue debit or credit cards.
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Address Validation
A card issuer must have reasonable policies and procedures to assess an address change when:
A consumer sends a notice of address change, and The card issuer receives a request for an
additional or replacement card within at least the first 30 days after the address change notice.
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Address Validation (con’t)
Before issuing the additional or replacement card, the card issuer must:
Notify* the cardholder of the request and allow a reasonable means to report an incorrect address change, or
Otherwise assess the validity of the address change in accordance with its Identity Theft Prevention Program
*Notice can be given at the cardholder’s former address or by any other communication means agreed upon.
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Alternative Timing
The card issuer may fulfill the requirements of this rule when it receives the address change notification, before receiving the request for the additional or replacement card.
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Form of Notice
The notice may be written or electronic, but it must be clear and conspicuous* and be provided separately from regular correspondence with the cardholder.
*reasonably understandable and designed to call attention to the nature and significance of the information.
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Rule on
Notices of
Address Discrepancy
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Notices of Address Discrepancy
FACT Act Section 315
FCRA Section 605(h)
16 CFR 681.1
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Notices of Address Discrepancy
Duties of users of consumer reports that
receive a “notice of address discrepancy”
from a nationwide consumer reporting agency
(NCRA as defined in FCRA)
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Notices of Address Discrepancy
“Notice of address discrepancy” notifies the
user of a substantial difference between:
Address the user provided, and Address in the NCRA’s files
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Notices of Address Discrepancy
Regulatory Requirement:
The user must have reasonable policies andprocedures to establish a reasonable belief that theconsumer report relates to the consumer about whom the report was requested
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Notices of Address Discrepancy
Establishing a reasonable belief –– Examples
Compare information in the consumer report to information the user:
Maintains in its records Obtains from third-party sources Obtained to comply with CIP rules
Verify information in the consumer report with the consumer
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Notices of Address Discrepancy
Regulatory Requirement:
The user must have reasonable policies and procedures tofurnish a confirmed address for the consumer to the NCRA,when the user:
Can form a reasonable belief that the report relates to the consumer
Establishes a continuing relationship with the consumer Regularly furnishes information to the NCRA
Naomi Lefkovitz
Federal Trade Commission
redflags@ftc.gov
(202) 326-3058
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