Subject: Fictitious Regulatory Agency Issuance
Date: April 28, 2014
Description: Fictitious Correspondence Attributed to the Office of the Comptroller of the Currency
Fictitious Correspondence Regarding the Release of Funds Supposedly Under the Control of the Office of the Comptroller of the Currency
To: Chief Executive Officers of All National Banks and Federal Savings Associations; All State Banking Authorities; Chair, Board of Governors of the Federal Reserve System; Chairman, Federal Deposit Insurance Corporation; Conference of State Bank Supervisors; Deputy Comptrollers (Districts); Assistant Deputy Comptrollers; District Counsels; and All Examining Personnel
Fictitious correspondence, allegedly issued by the Office of the Comptroller of the Currency (OCC) regarding funds purportedly under the control of the OCC, “Federal Reserve Bank,” and possibly other government entities, is in circulation. Correspondence may be distributed via e-mail, fax, or postal mail.
Any document claiming that the OCC is involved in holding any funds for the benefit of any individual or entity is fraudulent. The OCC does not participate in the transfer of funds for, or on behalf of, individuals, business enterprises, or governmental entities.
The correspondence may indicate that funds are being held by KAF Investment Bank, Malaysia, and that the recipient will be required to pay a mandatory processing fee for a Currency Capital Control Clearance to release the funds to the beneficiary’s bank account.
Attached are copies of the fictitious documents. This material is being sent to consumers in an attempt to elicit funds from them and to gather personal information to be used in possible future identification theft.
The correspondence in question contains the name of a fabricated OCC employee, Bright L. Wong, and a non-existent OCC mailing address. In addition, the e-mail correspondence contains telephone numbers, addresses, and e-mail addresses that are not associated with the OCC or any known authorized banking entity.
Before responding in any manner to any proposal supposedly issued by the OCC that requests personal information or personal account information or that requires the payment of any fee in connection with the proposal, recipients should take steps to verify that the proposal is legitimate. At a minimum, the OCC recommends that consumers
Any information regarding the subject of this or any other alert that you wish to bring to the attention of the OCC may be sent to email@example.com.
Ellen M. Warwick