Rohit |
Wysłany: Nie 5:46, 02 Mar 2014 Temat postu: vwdrPXdGbCtVu |
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If 2 separate copianmes share a client, lets say one is a preventative insurance provider and the 2nd is a financial institution, and they both retain Power-Of-Attorney authority over that clients funds. The nature of the preventative insurance is protecting clients funds from loss due to speculative investing, by proactively re-allocating funds at their discretion and judgement, because FDIC doesn't insure against such losses. When the insurer attempts to exercise their Power-Of-Attorney authority and duties, by proactively re-allocating client's funds to their own fund, because they find evidence of risky-enough investments, the potential losses from which, are not insured by the FDIC. Naturally, the bank would try to dispute the veracity of the insurer's claims, no matter how factual or evidence-based;In such a circumstance, can this outside insurance provider order a cease of communications notice to the bank, between the bank and their shared client ? Because further communication during or after the re-allocation effort can justifiably be perceived as tampering, misinformation, and/or intimidation on the part of the bank.Thanks |
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