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Requirements. The Customer Identification Program is intended to enable the bank to form a reasonable belief that it knows the true identity of each customer. It must also include reasonable and practical risk-based procedures for verifying the identity of each customer.
A bank's CIP must include record keeping procedures. At a minimum, the bank must retain the identifying information (name, address, date of birth for an individual, TIN, and any other information required by the CIP) obtained at account opening for a period of five years after the account is closed.
Requirements. The Customer Identification Program is intended to enable the bank to form a reasonable belief that it knows the true identity of each customer. The CIP must include new account opening procedures that specify the identifying information that will be obtained from each customer.
A compliant CIP has three major components to due diligence: planning and implementation, oversight and accountability, and independent auditing. Each of these may be more or less complex depending on the financial institution's business lines, size, structure, and risk profile.
Who is Exempt from CIP Requirements? If the account is being opened in the name of a listed company (as defined in the CTR exemption regulations), the listed company is an exception to the definition of “customer” in the CIP regulation, and would not have to be run through a bank's CIP process.
Why is CIP important? CIP is an important component in guaranteeing food safety in food processing plants. Successful cleaning between production runs avoids potential contamination and products that don't meet quality standards.
The CIP rule requires that a bank retain the identifying information obtained about the customer at the time of account opening for five years after the date the account is closed or, in the case of 7-Page 8 credit card accounts, five years after the account is closed or becomes dormant.
The CIP rule requires that a bank retain the identifying information obtained about the customer at the time of account opening for five years after the date the account is closed or, in the case of credit card accounts, five years after the account is closed or becomes dormant.
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