ABA Banking Journal - April 2013 - (Page 42)
legal issues
BY THOMAS PINDER
One for the little guys
Banker wins first round as court stays OCC lifetime ban
regulator is like David battling Goliath; except that the behemoth regulator usually prevails.
It is a refreshing twist to see a
banker topple both the Office of
the Comptroller of the Currency
(OCC) and the Board of Governors of the Federal Reserve System in Louis A. DeNaples v. OCC.
DeNaples challenged the regulators’
enforcement of Section 19 of the
Federal Deposit Insurance Act, and
persuaded the D.C. Circuit Court
of Appeals to vacate a lifetime ban
from banking imposed by the OCC
and the Board.
Section 19 restricts who may participate in the affairs of banks, savings
and loans, and holding companies. The statute, which is enforced by several
financial regulators, including the Federal Deposit Insurance Corp. and the
OCC, bars bankers who have entered “a pretrial diversion or similar program” in connection with certain crimes. The statute does not define what
qualifies as a pretrial diversion or similar program, but DeNaples and the
prosecutor tried to structure a pretrial agreement that did not trigger the
Section 19 prohibition.
DeNaples was the former chairman of First National Community Bank
and previously owned a casino in Pennsylvania. In 2008, Pennsylvania
charged DeNaples with perjury, alleging that he lied to the Pennsylvania
Gaming Control Board about his relationships with suspected members of
the Italian mafia. In response, the OCC issued a cease-and-desist order barring DeNaples from banking until the charges were resolved.
DeNaples entered into an “agreement” with the district attorney to have
all charges dismissed and his record expunged if DeNaples satisfied certain
prerequisites, such as divesting his interest in the casino. The district attorney’s office advised the OCC that the agreement did not constitute a pretrial diversion under Pennsylvania law, but the OCC disagreed and issued
an order permanently banning DeNaples from banking. After DeNaples
was unable to persuade an administrative law judge or the Federal Reserve
Board that the order was improper, he appealed to the D.C. Circuit. On Jan.
29, 2012, the court of appeals vacated the order and criticized the regulators’ “bizarre” and “inconsistent” enforcement of Section 19. The Court
commented that the FDIC requires all expunged pretrial agreements be
exempt from Section 19, but the OCC does not permit such an exemption.
Likewise, the court noted that the Fed does not follow the FDIC’s Section
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ABA BANKING JOURNAL
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April 2013
19 policy with respect to holding
companies, but mimics the FDIC
approach with savings and loans,
even though Section 19 gives no
reason for treating the institutions
differently. The court said understanding the agencies conflicting
rationales was akin to “draw[ing] a
two-dimensional shape on the surface of a grapefruit.”
It is unclear whether DeNaples
achieved a full knock-out or if the
regulators will rise and eventually
prevail. The court remanded the
case, ordering the administrative
law judge to consider the Pennsylvania state law definition of pretrial
diversion. The court also stayed the
order pending a probable en banc
rehearing request from the government. While it may be temporary,
it’s nice to see David win one. n
Thomas Pinder (tpinder@
aba.com) is vice-president,
litigation, for the American
Bankers Association.
Photo: LightsPring/shutterstock.com
A banker challenging a financial
Table of Contents for the Digital Edition of ABA Banking Journal - April 2013
ABA Banking Journal - April 2013
Contents
Chairman’s View
Editor’s Column
The Economy
Bank Notes
Picture This
ABA COMMUNITY BANKING Negotiating better contracts
Pass the Aspirin
Tech Topics
COVER STORY: Focus on risk Regulators raise the bar—big time!
RAROC architect’s views on risk
Top-performing big banks
Compliance Inbox
ABA At Your Service
Legal Issues
First Person
ABA Banking Journal - April 2013
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