Varo Dodges on CRA and Covid
Outage When Challenged on Federal Reserve
Application For Banking
By Matthew
Russell Lee, Patreon
BBC
- Guardian
UK - Honduras
- CJR -
PFT
South Bronx, June
15 – With fintechs
pushing to get into banking,
through now ex-Comptroller
Joseph Otting who after
trashing the Community
Reinvestment Act left and
immediately joined fintech
Black Knight, and through the
PPP, on June 10 Fair Finance
Watch with Inner City Press on
FOIA submitted timely comments
to the Federal Reserve
opposing Varo's application,
pointing for example at Varo's
service interruption in
October 2019, including
declined debit card
transactions, which they tried
to blame on their processor
Galileo. See here.
Now on
June 15 Varo's CEO Colin
Walsh, as submitted by outside counsel
Mitchell S. Eitel at Sullivan
& Cromwell has passed the
buck again on its service
disruption, and sought to hide
behind the OCC of Otting and
Brooks, which has no
credibility: "Varo Money, Inc.
(“Varo”) hereby responds to
the comment letter submitted
by Mr. Matthew Lee of Inner
City Press/Fair Finance Watch
(the “Commenter”) on June 10,
2020... We strongly disagree
with the Commenter’s
suggestion that Varo itself
was the cause of a “service
interruption in October 2019,
which [Varo] tried to blame on
[Varo’s] processor Galileo.”
On October 16, 2019, Galileo
Processing experienced an
impact to their systems, and
it was reported that the
customers of Chime, another
Galileo client principally
discussed in the article cited
by the Commenter, were
prevented “from making
purchases and accessing
cash"... we note that as it
transitions to a bank, Varo
Bank will use Visa DPS, not
Galileo, as its processor
after a brief transition
period.... Varo has filed its
Strategic Plan with the Office
of the Comptroller of the
Currency and believes that it
will be approved in the near
future. Varo respectfully
submits that the OCC process
is the ap- propriate forum for
his comments. Finally,
with respect to the
Commenter’s request that “all
comment periods” for
applications before the
Federal Reserve be extended
until “at least Phase Two of
the Coronavirus restrictions
in New York”, Section
262.25(b)(2) of the Federal
Reserve’s Rules of Procedure
state that the Secretary of
the Federal Re- serve may
grant a brief extension of the
comment period in cases where
a commenter for good cause is
una- ble to send its comment
within the specified comment
period upon “clear
demonstration of hardship or
other meritorious reason for
seeking additional time” to
comment. In general and as it
relates to Varo’s Application,
we believe that the
Commenter’s request is overly
broad and that there is no
basis to extend the com- ment
period. The Comment Letter
vaguely references the
“COVID-19 pandemic” and
“Coronavirus restrictions”
without providing any clear or
definite demonstration as to
how such pandemic or
restrictions have interfered
with the Commenter’s ability
to meet the specified comment
period or given rise to any
hardship to Commenter or other
meritorious reason to extend
the comment period, or how the
arbitrarily chosen “Phase Two”
of such restrictions would
alleviate any such
unsubstantiated causes for
delay. To the contrary, by
virtue of the scope and
content of the Comment Letter
itself, the Commenter has
clearly demonstrated his
ability to comment within the
specified comment period."
What
arrogance - commenting amid
lockdowns is fine, the OCC is
the place to comment, and
blockage from account
information is fine. The
evidentiary hearings and
application denial are
necessary.
Fair Finance Watch has timely
asked the Federal Reserve for
a hearing on weakened CRA
duties, and disproportionate
exclusion: low and moderate
consumers disproportionately
have prepaid or limited data
plans and face disconnections
of their mobile service. And
just because consumers have
email addresses does not mean
that they have regular
internet access, and if they
close or move their accounts,
they may lose access to their
financial
records.
Despite or
perhaps because of these and
the service interruptions,
using OCC deregulation, "Varo
Money has raised an additional
$241 million in Series D
funding, the company announced
today. The investment was
co-led by new investor
Gallatin Point Capital and
existing investor The Rise
Fund, co-founded by TPG. Also
participating in the round
were Bono (yes, that one, also
trying to get Ireland onto the
UN Security Council in a June
17 virtual election), along
with entrepreneur, impact
investor and movie producer
Jeff Skoll; plus HarbourVest
Partners and Progressive
Insurance. To date, Varo
has raised $419.4 million in
funding."
See also, for the
record on which Inner City
Press / Fair Finance Watch are
timely requesting evidentiary
hearings on this application,
" NEWS Technology
Finance Unregulated
Fintech Could be the Source of
the Next Market Crash Posted
to
TechnologyFinance."
At to the Fed itself,
currently the FRB's H2A states
"The H.2A is released each
Friday and will be updated at
least every three days.
June 8, 2020 - Updates to
current release May 29, 2020 -
Current release."
June 8 and May 29
are more than three - more
than ten - days apart.
As previously raised to the
Board, without any response,
as of December 28, 2019 the
most recent application on the
FRB's online H2A had a comment
period ending December 20 -
that is, already closed.
Meanwhile the Fed is
processing and moving to
rubber stamp bank expansion
applications during the
COVID-19 pandemic. The comment
periods must be re-opened and
other remedies. Watch this
site.
***
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