Wednesday, February 1, 2017
The Council’s Committee on Consumer Affairs held a hearing Jan. 12, 2017, to review the ATM bill, known as Int. 1406-2016. Leaders from the National ATM Council Inc. and ATM Industry Association Inc. participated in the hearing and recommended all affected parties work together to modify the guidelines.
"The National ATM Council shares New York City’s goal of ensuring top-notch safety and security for NYC consumers of retail ATM services," stated Bruce Wayne Renard, NAC Executive Director, in an interview with The Green Sheet. "The reality is that retail ATMs are already safer for consumers to use, with live attendants and patrons present, versus the unattended outdoor ATMs found at most bank locations."
Mike Keller, Co-Chair of ATMIA’s Government Relations Committee (GRC) and Special Counsel for Cardtronics Inc., also testified at the public hearing. Keller observed a similar situation in Ohio involving the Cleveland City Council’s proposed regulations for cash replenishment in ATMs. The regulation could lead to "widespread out-of-cash conditions in city ATMs," ATMIA stated.
The seven-part measure seeks to amend the administrative code of New York City by requiring additional security measures at nonbank ATMs, the city's consumer affairs committee stated. The proposed additions would be incorporated in a new sub-chapter under the following headings:
"This local law takes effect 120 days after enactment, except that the commissioner may take any action necessary for the implementation of this local law, including the promulgation of rules, prior to that date," the committee wrote.
Renard said creating a new regulatory regime for retail ATMs in New York City would be costly and burdensome. He added that the measure would not enhance security and might even lead to higher fees and fewer retail ATMs for consumers. "NAC has offered to work with NYC to develop a stringent new criminal penalty and enforcement regime directed at all ATM-related crimes," he said. "Experience shows this to be the most effective deterrent of all."
Renard urged the New York Council and Committee to recognize the consumer benefits of retail ATMs. He noted that nonbank ATMs are registered with sponsor banks that thoroughly vet all prospective ATM providers prior to placement. These ATMs often serve areas outside the footprints of traditional financial institutions, which include public locales and underbanked communities, he stated.
In his statement to the New York Council Committee of Consumer Affairs, Renard emphasized the need for a flexible legislative framework that could adapt to rapidly changing technology.
Each ATM placement is unique to the specific location in terms of ideal placement, employee and public access, and overall security considerations, Renard stated. "The Committee should also note that security ‘best practices’ change continually, depending on the nature/level of local criminal activity and the ongoing evolution of security technology for retail ATMs designed to meet constantly evolving threats," he wrote. "Given the pace of technological change in this sector alone, it is highly impractical and unwise to attempt to legislate and bind ATM owners and operators to current security measures which are likely to become technologically outdated or even counterproductive in very short order."
Renard cited the following additional shortcomings of the proposed measure:
"For all these reasons, The National ATM Council Inc. respectfully requests that Int. 1406-2016 be tabled at this time, and that the Committee work with NAC and other interested parties to develop appropriate revisions to the penal code and enforcement protocols that will actually help deter ATM related crimes and protect New York’s consumers of ATM services," Renard wrote.
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