NEWS: On July 1, 2025, several thresholds under the Expedited Funds Availability Act (Regulation CC) will be adjusted once again for inflation as we previously announced in this Compliance Courier.
They include the following:
- Increase from $225 to $275 the amount of certain check deposits that must be made available on the next business day following the date of deposit
- Increase the new account exception hold threshold from $5,525 to $6,725. Beginning July 1st, a credit union may delay the availability of funds in excess of $6,725 deposited to a new account in any one banking day
- Increase the large deposit exception hold threshold from $5,525 to $6,725. Beginning July 1st, a credit union may delay the availability of funds in excess of $6,725 deposited to an existing account in any one banking day
- Change the definition of repeated overdrafts. Beginning July 1st, an account will be considered repeatedly overdrawn if:
- On 6 or more banking days within the preceding 6 months, the account balance was negative or would have become negative had checks or other charges to the account been paid, or
- On 2 or more banking days within the preceding 6 months, the account balance was negative or would have become negative in an amount of $6,725 or more
As a reminder, the Dodd-Frank Act amended the Expedited Funds Availability Act by requiring adjustments for inflation every five years. The first round of adjustments tied to the Consumer Price Index for Urban Wage Earners and Clerical Workers (CPI-W) occurred on July 1, 2020.
Under Regulation CC, credit unions are required to provide members with a notice of change. Since the increased thresholds will expedite the availability of funds to the member, advance notification is not required. The notice may be provided up to 30 days following the effective date of the change, which in this case, is no later than July 31, 2025. Notice may be given in any form, so long as it is clear and conspicuous. If the credit union opts to send each member a new funds availability disclosure, it must highlight the adjusted amounts in the revised disclosure.
Additional information about the Expedited Funds Availability Act and Regulation CC may be found in The League’s ii Release No. 0100 and in InfoSight360. InfoSight360 also offers a Funds Availability Chart, located under Additional Resources that has been updated to reflect the increased thresholds effective July 1st.

