3/18/2021
Under the current Nacha Rules, an ODFI warrants that an ACH entry has been properly authorized by the Receiver. The Rules allow extended returns for unauthorized entries for limited periods but do not establish a time limit on the ODFI’s warranties. That time limit is determined by statutes of limitations, which vary from state to state, and can be as long as ten years.
Effective June 30, 2021, Nacha’s Limitation on Warranty Claims Rule will expressly limit the time in which an RDFI may make a claim against the ODFI’s authorization warranty.
For an entry to a consumer account, the limit will cover two time periods:
For an entry to a non-consumer account, an RDFI may make a claim for one year from the settlement date of the entry.
The June 30, 2021 effective date applies to an RDFI’s ability to make a claim and not to the settlement date of the entries.
RDFI’s please note, this rule does not have any impact on the ACH network’s return time frame for unauthorized debits; it only applies to warranty claims. An RDFI returning an unauthorized debit to a consumer account must still transmit the return in such time and manner that the return entry is made available to the ODFI no later than the opening of business on the banking day following the 60th calendar day following the settlement date of the original entry. The RDFI is required to execute a Written Statement of Unauthorized Debit (WSUD) for these returns. An RDFI returning an unauthorized debit to a non-consumer account must still transmit the return in such time and manner that the return entry is made available to the ODFI no later than the opening of business on the second banking day following the settlement date of the entry.
ODFIs and Originators may see a reduction in warranty claims that fall outside the time periods established by this rule and may see liability for some older transactions shift to RDFIs and Receivers.
RDFIs should examine their processes for handling warranty claims for unauthorized transactions. RDFIs may need to make changes to ensure that they only claim entries settling within the time periods permissible under the Rules.
Receivers should review their statements and report unauthorized activity to their RDFI in a timely manner.
For more information, you can visit Nacha’s website.
Questions?
Staying in compliance can be challenging, so if you have any questions or need assistance, email paymentadvisors@saltmarshcpa.com or a member of our Financial Institutions Team so we can help.
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