John Geiringer from the Chicago-based law firm of Barack Ferrazzano outlines what the board should and should not do when engaging with the regulators. Highlights include:

  • How to engage with regulators
  • Participating in examinations
  • Dealing with enforcement actions
  • FDIC allegations and claims


WRITTEN BY

John Geiringer

John is a nationally recognized banking attorney who advises financial institutions on regulatory, governance, and investigative matters. He regularly provides focused training sessions to boards and management on a wide range of legal and risk management topics. Working at the forefront of banking law and regulation, John is a thought leader in the field, primarily through teaching, writing, and frequent media interviews.