Many credit unions (and NAFCU for that matter) use the email signature area to market products and services. But here's a thought: how many have reviewed their email signature for compliance with Regulation Z, Truth in Savings, and NCUA's advertising requirements?
It seems to me that an email signature that promotes a savings or loan product would qualify as an advertisement. Regulation Z contains no exceptions whatsoever for its advertising requirements. TIS has some exceptions for certain advertisements, as does NCUA's advertising rules. I haven't gone through the entire analysis in my head yet, but I think it is something worth thinking about. And how many of you compliance gurus review signature lines of a marketing nature before they go final?
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OK, you wanted wedding photos. Here they are!
Have a great weekend, everyone!
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