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ACH credit transfers include direct deposit payroll payments and payments to contractors and vendors. ACH debit transfers include consumer payments on insurance premiums, mortgage loans, and other kinds of bills. Debit transfers also include new applications such as the Point-of-Purchase (POP) check conversion pilot program sponsored by NACHA . FedACH is the Federal Reserve's centralized application software used to process ACH transactions. Both the government and the commercial sectors use ACH payments. The Electronic Payments Network is the only private sector ACH Operator in the United States. The Federal Reserve Banks are collectively the nation's largest automated clearinghouse operator and in 2005 processed 60% of commercial interbank ACH transactions. The Electronic Payments Network (EPN) processed the remaining 40%. EPN and the Reserve Banks rely on each other for the processing of some transactions in which either the Originating Depository Financial Institution (ODFI) or Receiving Depository Financial Institution (RDFI) is not their customer. These interoperator transactions are settled by the Reserve Banks. In 2002 the system processed more than 8.94 billion ACH entries which amounted to more than $24.4 trillion. USES OF THE ACH PAYMENT SYSTEM
ACH PROCESS It is important to note that in accordance to the rules and regulation of ACH, no financial institution may simply issue an ACH transaction (whether it be debit or credit) towards an account without prior authorization from the account holder (known as the ''Receiver'' in ACH terminology). An ACH entry starts with a ''Receiver'' authorizing an ''Originator'' to issue ACH debit or credit to an account. An ''Originator'' can be a person, the gas company, your local cable company, or your employer. Depending on the ACH transaction, the ''Originator'' must receive written (ARC, POP, PPD), verbal (TEL), or electronic (WEB) authorization from the ''Receiver''. Once authorization is acquired, the ''Originator'' then creates an ACH entry to be given to an ''Originating Depository Financial Institution'' (ODFI), who can be any financial institution who does ACH origination. This ACH entry is then sent to an ''ACH Operator'' (usually the FED) and is passed on to the ''Receiving Depository Financial Institution'' (RDFI), where the ''Receiver's'' account is issued either a credit or debit depending on the ACH transaction. The RDFI however may reject the ACH transaction and return it to the ODFI with the appropriate reason, such as there was insufficient funds in the account or the account holder said the transaction was unauthorized. An RDFI has a prescribed amount of time to perform returns, ranging from 2 to 60 days from the receipt of the ACH transaction. ODFI's receiving a return of their ACH entry may re-present the ACH entry one more time for settlement. Again, the RDFI may reject the transaction. After which, the ODFI may no longer represent the transaction via ACH. STANDARD ENTRY CLASS CODE The Standard Entry Class (SEC) code is a three letter code that identifies the nature of the ACH entry. Here are some common SEC codes:
SOME ISSUES WITH ACH ACH payments have been around for sometime now, but people are just getting used to them. Especially with the ARC, POP, and RCK, where the original instrument was a physical check. One issue is when the account holder issues a stop payment on a physical check not knowing that the check was presented as an ACH entry. A timeframe issue can cause potential loss towards an RDFI due to irregular timeframes provided for the return of ACH entries that are subject to Regulation E . An example is a POP and ARC entry, where an RDFI has only 60 days from the date of settlement to return an unauthorized debit, and the consumer has 60 days upon notification to dispute a transaction in his statement under Regulation E. With these timeframes, it is possible for the 60-day period for ACH return expires even before the consumer's 60-day protection under Regulation E expires. Another issue deals with compliance where the merchant had an ODFI issue an ARC or POP entry (for check presentment) and fails to comply with the handling of the physical check and presents the physical check for payment as well. This ends up with a double debit against a consumer account. EXTERNAL LINKS |
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