Using Your Internet Banking Details With Raiz - Raiz Invest

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We’ve received a lot of questions regarding
the legality of submitting one’s personal bank login details to Raiz in order
to use our Round-Ups feature, so we thought we would try to explain the
ePayments Code, which the Australian Securities & Investment Commission
(ASIC) administers on behalf of its subscribers, the banks and institutions. To
see if your financial institution is a subscriber, you
can view a list on ASIC’s website.

We recommend you keep reading, but if
you can’t be bothered with the legal mumbo jumbo, here’s the take home message:

Having researched ASIC’s ePayments code, we can tell you
that using your internet banking login details with Raiz should not void any
terms and conditions with your bank.

 

To quote ASIC’s site directly:

“Almost all banks, credit unions and building societies
in Australia are subscribers to the ePayments Code. Other providers of consumer
electronic payment facilities such as PayPal have also subscribed to the code.

Among other things, the ePayments Code:

·
requires subscribers to give consumers clear and unambiguous terms
and conditions,

·
stipulates how terms and conditions changes (such as fee increases),
receipts and statement need to be made

·
sets out the rules for determining who pays for unauthorised
transactions, and;

·
establishes a regime for recovering mistaken internet payments.”

Most of the questions we have received come
from customers who believe that entering one’s login details into the Raiz app will make
them liable for any losses in their account. This is false.

Entering banking login details into the
Raiz app to create round-up opportunities will not see you become liable for unauthorised transactions because:

(a) the user expressly
appoints Raiz and Yodlee to collect information on the user’s behalf only (i.e. Raiz and Yodlee have “read only” access to the user’s bank account.
They cannot effect
transactions
); and

(b) Raiz and Yodlee
protect the data using encryption and bank standard security measures to keep
it safe.

Raiz uses industry-standard security like
256-bit SSL encryption of sensitive information, redundant backups, and
disaster recovery planning. Even in the incredibly unlikely event that all
these measures fail, customers of Raiz are insured against fraud &
cyber-crime. This insurance does not invalidate the liability of your financial
institution, so you are protected against liability and loss.

In conclusion, Raiz and its use of a
transaction aggregator to retrieve round-ups on your behalf, we believe, is in compliance
with ePayments Code as outlined by ASIC. You will not be forfeiting any
protection by using your online login with Raiz. Stay safe out there, and
continue to be smart about with whom you share your sensitive information.

We appreciate your trust and loyalty. We
promise never to abuse it.

Source:
ePayments Code – http://asic.gov.au/for-consumers/codes-of-practice/epayments-code/

 

Relevant excerpts below:

unauthorised
transaction
means a transaction that is not
authorised by a user

9 Scope Transactions not authorised by a
user

9.1 This Chapter applies to unauthorised
transactions. It does not apply to any transaction that is performed by a user
or by anyone who performs a transaction with the knowledge and consent of a
user.

10 When holder is not liable for loss

10.1 A holder is not liable for loss arising
from an unauthorised transaction if the cause of the loss is any of the
following:

(a) fraud or
negligence by a subscriber‘s employee or agent, a third party involved in
networking arrangements, or a merchant or their employee or agent,

(b) a device, identifier
or pass code which is forged, faulty, expired or cancelled,

© a
transaction requiring the use of a device and/or pass code that occurred before
the user received the device and/or pass code (including a reissued device
and/or pass code),

(d) a transaction
being incorrectly debited more than once to the same facility, and

(e) an
unauthorised transaction performed after the subscriber has been informed that
a device has been misused, lost or stolen, or the security of a pass code has
been breached.

10.2 A holder is not liable for loss
arising from an unauthorised transaction that can be made using an identifier
without a pass code or device. Where a transaction can be made using a device,
or a device and an identifier, but does not require a pass code, the holder is
liable only if the user unreasonably delays reporting the loss or theft of the
device.

10.3 A holder is not liable for loss
arising from an unauthorised transaction where it is clear that a user has not
contributed to the loss.

12 Pass code security requirements

Pass code security

12.1 Clause 12 applies where one or more
pass codes are needed to perform a transaction.

12.2 A user must not:

(a) voluntarily
disclose one or more pass codes to anyone, including a family member or friend,

(b) where a
device is also needed to perform a transaction, write or record pass code(s) on
a device, or keep a record of the pass code(s) on anything:

(i) carried with
a device, or

(ii) liable to
loss or theft simultaneously with a device, unless the user makes a reasonable
attempt to protect the security of the pass code, or

© where a
device is not needed to perform a transaction, keep a written record of all
pass codes required to perform transactions on one or more articles liable to
be lost or stolen simultaneously, without making a reasonable attempt to
protect the security of the pass code(s).

12.3 For the purpose of clauses
12.2(b)–12.2©, a reasonable attempt to protect the security of a pass code
record includes making any reasonable attempt to disguise the pass code within
the record, or prevent unauthorised access to the pass code record, including
by:

(a) hiding or
disguising the pass code record among other records,

(b) hiding or
disguising the pass code record in a place where a pass code record would not
be expected to be found,

© keeping a
record of the pass code record in a securely locked container, or

(d) preventing
unauthorised access to an electronically stored record of the pass code record.
This list is not exhaustive.

12.4 A user must not act with extreme
carelessness in failing to protect the security of all pass codes where extreme
carelessness means a degree of carelessness that greatly exceeds what would
normally be considered careless behaviour.

Note 1: An example of extreme carelessness
is storing a user name and pass code for internet banking in a diary,
BlackBerry or computer that is not password protected under the heading
‘Internet banking codes’.

12.9 Where a subscriber expressly or
implicitly promotes, endorses or authorises the use of a service for accessing
a facility (for example, by hosting an access service on the subscriber’s
electronic address), a user who discloses, records or stores a pass code that
is required or recommended for the purpose of using the service does not breach
the pass code security requirements in clause 12.

Note 1: For example, if a subscriber
permits users to give their pass code(s) to an account aggregator service
offered by the subscriber or an associated company, a user who discloses their
pass code(s) to the service does not breach the pass code security requirements
in clause 12.

13 Pass code security guidelines

13.1 A subscriber may give users guidelines
on ensuring the security of devices and pass codes in their terms and conditions
or other communications.

13.2 Guidelines under this clause must:

(a) be
consistent with clause 12,

(b) clearly
distinguish the circumstances when holders are liable for unauthorised
transactions under this Code, and

© include a
statement that liability for losses resulting from unauthorised transactions
will be determined by this Code, rather than the guidelines.

15 Network arrangements

15.1 In clause 15:

merchant
acquirer
means a subscriber that provides a service
to merchants that enables them to accept/receive electronic payments

party
to a shared electronic payments network
includes
retailers, merchants, communications services providers and other organisations
offering facilities, merchant acquirers and subscribers

15.2 A subscriber must not avoid any obligation
owed to users under this Code on the basis that:

(a) it is a
party to a shared electronic payments network, and

(b) another
party to the network caused the failure to meet the obligation.

15.3 A subscriber must not require a user
who is their customer to:

(a) raise a
complaint or dispute about the processing of a transaction with any other party
to a shared electronic payments network, or

(b) have a
complaint or dispute investigated by any other party to a shared electronic
payments network.

 


 

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Important Information

The information on this website is general advice only. This means it does not take into account any person’s particular investment objectives, financial situation or investment needs. If you are an investor, you should consult your licensed adviser before acting on any information contained in this article to fully understand the benefits and risk associated with the product.

A Product Disclosure Statement for Raiz Invest and/or Raiz Invest Super are available on the Raiz Invest website and App. A person must read and consider the Product Disclosure Statement in deciding whether, or not, to acquire and continue to hold interests in the product. The risks of investing in this product are fully set out in the Product Disclosure Statement and include the risks that would ordinarily apply to investing.

The information may be based on assumptions or market conditions which change without notice. This could impact the accuracy of the information.

Under no circumstances is the information to be used by, or presented to, a person for the purposes of deciding about investing in Raiz Invest or Raiz Invest Super.

Past return performance of the Raiz products should not be relied on for making a decision to invest in a Raiz product and is not a good predictor of future performance.


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