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Privacy Policy
FIRST NATIONAL BANK OF DIGHTON
The following describes how we safeguard the privacy of our customers throughout our business.
1. Recognition of a Customer’s Expectation of Privacy
First National Bank recognizes and respects the privacy expectations of its customers and
will take the steps necessary to protect the privacy of the information shared with First
National Bank.
2. Use, Collection and Retention of Customer Information
First National Bank collects, retains and uses information about individual customers
Only where First National Bank reasonably believes it would be useful (and allowed
By law) in administering First National Bank’s business and to provide products, services
and other opportunities to its customers
3. Maintenance of Accurate Information
First National Bank has established procedures so that a customer's financial information is accurate, current and complete in accordance with reasonable commercial standards. First National Bank also responds to requests to correct inaccurate information in a timely manner.
4 Limiting Employee Access to Information
First National Bank limits employee access to personally identifiable information to those with a business reason for knowing such information. First National Bank educates its employees so that they will understand the importance of confidentiality and customer privacy. First National Bank also takes appropriate disciplinary measures to enforce employee privacy responsibilities.
5. Protection of Information via Established Security Procedures
First National Bank maintains appropriate security standards and procedures regarding unauthorized access to customer information.
6. Restrictions on the Disclosure of Account Information
First National Bank does not reveal specific information about customer accounts or other personally identified data to unaffiliated third parties for their independent use, except for the exchange of information with reputable credit reporting agencies to maximize the accuracy and security of such information or in the performance of bona fide corporate due diligence, unless 1) the information is provided to help complete a customer initiated transaction; 2) the customer requests it; 3) the disclosure is required or allowed by law; or, 4) the customer has been informed about the possibility of such disclosure for marketing or similar purposes through a prior communication.
7. Maintaining Customer Privacy in Business Relationships with Third Parties
If personally identifiable customer information is provided to a third party, First National Bank insists that the third party adhere to strict privacy guidelines that provide for keeping such information confidential.
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