Regulatory Comment Letter
Comments on Amendments to the Bank Secrecy Act Regulations
Regulatory Comment Letter
Comments on Amendments to the Bank Secrecy Act Regulations
The Retail Industry Leaders Association (RILA) is pleased to respond to the Financial Crimes Enforcement Network‟s (FinCEN) Notice of Proposed Rulemaking and request for comments on amendments to the Bank Secrecy Act (BSA) regulations regarding definitions and other regulations relating to prepaid access (NPRM or Proposed Rule).1