FDIC Enforcement Decisions and Orders
The FDIC (Federal Deposit Insurance Corporation) enforcement decisions and orders page provides essential information about regulatory actions taken against banks and financial institutions. These decisions and orders outline the fdic's efforts to ensure safety and soundness in the banking system.
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10,664 Entities in FDIC Enforcement Decisions and Orders
Entity Name | Entity Type | Effective Date | Status |
---|---|---|---|
BANK OF LINCOLN COUNTY | Company | Aug 10, 2010 | active |
Bank of Lincoln County | Company | Aug 3, 2012 | active |
CROSS COUNTRY BANK | Company | May 15, 2002 | active |
CROSS COUNTRY BANK | Company | Mar 5, 2004 | active |
CROSS COUNTRY BANK | Company | Aug 31, 2006 | active |
First United Security Bank | Company | Jun 16, 2014 | active |
First United Security Bank | Company | Oct 28, 2014 | active |
ALLIED HOUSTON BANK | Company | Jun 29, 2004 | active |
ALLIED HOUSTON BANK | Company | Jun 29, 2004 | inactive |
SENATH STATE BANK | Company | Sep 24, 2003 | active |
FAQs
Why is compliance with FDIC Enforcement Decisions and Orders necessary?
Compliance with FDIC (Federal Deposit Insurance Corporation) Enforcement Decisions and Orders is crucial for financial institutions. These orders are issued to address violations of banking laws and regulations. By adhering to these decisions, banks and financial entities can safeguard their operations and protect their reputation. When institutions don't comply, they risk severe penalties, including hefty fines and restrictions on their activities.
Which companies should comply with FDIC Enforcement Decisions and Orders?
The FDIC enforcement decisions and orders impact banks and financial institutions. These companies must comply to maintain their integrity and trustworthiness. Following these orders helps ensure they operate fairly, protect consumers, and avoid penalties. Compliance with FDIC directives is essential for the stability of the financial system and for safeguarding public confidence in banking practices.
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