Maryland
|
1-34582
|
27-0950358
|
||
(State or Other Jurisdiction
of Incorporation)
|
(Commission File No.)
|
(I.R.S. Employer
Identification No.)
|
100 Liberty Street, Warren Pennsylvania
|
16365
|
|
(Address of Principal Executive Offices)
|
(Zip Code)
|
[ ]
|
Written communications pursuant to Rule 425 under the Securities Act (17 CFR 230.425)
|
[ ]
|
Soliciting material pursuant to Rule 14a-12 under the Exchange Act (17 CFR 240.14a-12)
|
[ ]
|
Pre-commencement communications pursuant to Rule 14d-2(b) under the Exchange Act (17 CFR 240.14d-2(b))
|
[ ]
|
Pre-commencement communications pursuant to Rule 13e-4(c) under the Exchange Act (17 CFR 240.13e-4(c))
|
|
·
|
general economic conditions, either nationally or in our market areas, that are worse than expected;
|
|
·
|
changes in laws or government regulations or policies affecting financial institutions, including changes in regulatory fees and capital requirements;
|
|
·
|
competition among depository and other financial institutions;
|
|
·
|
inflation and changes in the interest rate environment that reduce our margins or reduce the fair value of financial instruments;
|
|
·
|
adverse changes in the securities markets; and
|
|
·
|
changes in our organization.
|
Item 8.01
|
Other Events
|
|
·
|
The development and implementation of an effective compliance management system (“CMS”) that is commensurate with the level of complexity of the Bank’s operations and a comprehensive written compliance program (“Compliance Program”).
|
|
·
|
The submission to the FDIC for non-objection, and subsequent implementation of, a Compliance Program that, at a minimum:
|
|
(i)
|
includes policies, controls, procedures, and processes that ensure consistent compliance with all consumer laws, regulations and regulatory guidance to which the Bank is subject;
|
|
(ii)
|
includes effective monitoring procedures that ensure compliance with applicable consumer laws, adherence to internal policies and procedures, and consideration of specified best practices;
|
|
(iii)
|
implements and maintains a training program on a continuing basis related to compliance with applicable consumer laws for all employees who have responsibilities that may relate to applicable consumer laws, including senior management and the Board, commensurate with their individual job functions and duties;
|
|
(iv)
|
designates a qualified compliance officer (“Compliance Officer”) to oversee the CMS and monitor the completion and effectiveness of the applicable consumer laws training programs;
|
|
(v)
|
designates an appropriate number of compliance personnel with sufficient experience in, and knowledge of, applicable consumer laws to administer the CMS;
|
|
(vi)
|
designates compliance responsibilities of the Board and the Bank’s management, compliance committee, Compliance Officer, internal audit function, and any third-party auditors; and
|
|
(vii)
|
sets forth specific policies and procedures to ensure that consumer complaints, regardless of source, are thoroughly evaluated and addressed and resolved in a timely manner, and that Bank management and compliance personnel provide timely responses to consumers.
|
|
·
|
The retention and ongoing training of a qualified Compliance Officer who receives adequate ongoing training and sufficient time and resources, including staff assistance, authority and independence, to effectively oversee, coordinate, and implement the CMS.
|
|
·
|
The maintenance of an effective compliance audit function.
|
|
·
|
The adoption and implementation of systems and controls to ensure proper management of third-party risk.
|
|
·
|
The taking of all action necessary, including thorough reviews of all existing and new Bank deposit products, marketing, and disclosures, to comply with laws and guidance related to unfair or deceptive acts or practices;
|
|
·
|
The adoption and implementation of systems and controls to ensure compliance with the Home Mortgage Disclosure Act and related regulations, with specific provisions to accurately collect and record required data on applications for, and originations, purchases, and refinancing of, home purchase and home improvement loans.
|
|
·
|
The adoption and implementation of systems and controls to ensure compliance with the Flood Disaster Protection Act and related regulations, with specific provisions to obtain adequate flood insurance when originating, extending or increasing the amounts of loans, when required, and to provide flood insurance notices to borrowers when loans are secured by a building or mobile home located in a special flood hazard area.
|
|
·
|
The submission of progress reports with respect to compliance with the Order.
|
|
·
|
The payment of restitution in amounts specified by the FDIC to certain identified depositors and former depositors alleged by the FDIC as having not been paid the appropriate amount of interest as described in Bank disclosures. The total amount of restitution to be paid by the Bank shall not exceed $375,000.
|
|
·
|
The payment of a civil money penalty of $325,000.
|
|
Not applicable.
|
NORTHWEST BANCSHARES, INC.
|
||
DATE: July 25, 2011
|
By:
|
/s/ William W. Harvey, Jr.
|
William W. Harvey, Jr.
|
||
Chief Financial Officer
|