Which information is NOT required for credit union records when a purchaser has an account?

Study for the BSA Compliance Exam. Engage with flashcards and multiple-choice questions, each with hints and explanations. Prepare diligently for your exam!

The information that is not required for credit union records when a purchaser has an account is the date of birth of the purchaser. In the context of BSA (Bank Secrecy Act) compliance and related regulations, financial institutions, including credit unions, are obligated to maintain certain records to ensure compliance with anti-money laundering and know-your-customer norms.

While the types of instruments purchased, the date of purchase, and the name of the purchaser are critical pieces of information for tracking transactions and ensuring appropriate due diligence, the date of birth is not typically a requirement in every transaction context. Instead, verification of identity often focuses on the name and other identifying details that suffice for KYC compliance.

This distinction is vital for streamlining the record-keeping process while still adhering to regulatory standards. By only retaining necessary information, credit unions can enhance operational efficiency without compromising compliance.

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