American Bankers Association
OCCRulemakingOCC-2025-0735

Preemption Determination: State Interest-on-Escrow Laws

RIN
Last modified
May 19, 2026
Comment window
closed 180d ago
American Bankers Association filings
1

Activity

American Bankers Association filed 1 comment on this docket between Jan 29, 2026 and Jan 29, 2026. 6 other organizations filed here. The comment window closed 180d ago.

What American Bankers Association filed (1)

Jan 29, 2026· American Bankers Association and the U.S. Chamber of Commerce· OCC-2025-0735-0014

Filed on regulations.gov — full text not in the inline record.

Abstract

The Providing Accountability Through Transparency Act of 2023 requires that a notice of proposed rulemaking include the internet address of a summary of not more than 100 words in length of a proposed rule, in plain language, that shall be posted on the internet website www.regulations.gov. The OCC is proposing to issue a preemption determination concluding that Federal law preempts state laws that eliminate OCC-regulated banks’ flexibility to decide whether and to what extent (1) to pay interest or other compensation on funds placed in real estate escrow accounts or (2) to impose fees in connection with maintaining such accounts. This preemption determination would provide much needed clarity to banks and other stakeholders. The proposal and required summary can be found for the OCC at https://www.regulations.gov by searching for Docket ID OCC-2025-0735 and https://occ.gov/topics/laws-and-regulations/occ-regulations/proposed-issuances/index-proposed-issuances.html.

View on regulations.gov →
Preemption Determination: State Interest-on-Escrow Laws (OCC) — American Bankers Association | OpenPolis