Vice President - Compliance
UNIFY Financial Credit Union | |||||
United States, Kansas, Lenexa | |||||
9777 Ridge Drive (Show on map) | |||||
May 22, 2026 | |||||
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Vice President - Compliance
Summary The Vice President of Compliance is responsible for leading and overseeing the credit union's enterprisewide compliance management program for a complex, nationwide credit union with a multi-billion-dollar asset base and ambitious growth objectives. This role ensures compliance with all applicable federal and state laws, regulations, and regulatory guidance, with a strong emphasis on National Credit Union Administration (NCUA) requirements, consumer financial protection laws, Bank Secrecy Act / AntiMoney Laundering (BSA/AML), Office of Foreign Assets Control (OFAC), fair lending, privacy, and operational compliance. The Vice President of Compliance serves as the Credit Union's designated Compliance Officer and acts as a strategic advisor to executive leadership and business units regarding regulatory compliance, emerging compliance trends, and supervisory expectations. The role is accountable for maintaining a robust Compliance Management System (CMS) that supports strategic growth initiatives across all business lines. Ensure compliance is embedded into decision making, training, and performance expectations to foster a culture of compliance and ethical conduct throughout the organization. Duties & Responsibilities Regulatory Compliance Leadership
Lead, administer, and continuously enhance the enterprise Compliance Management System, including compliance policies, procedures, training, monitoring, testing, issue management, and executive leadership reporting.
Compliance Monitoring and Oversight
Consumer Protection and Regulatory Programs
Federal Credit Union Act NCUA Rules & Regulations (12 CFR) NCUA Part 701 - Organization & Operations NCUA Part 741 - Requirements for Insurance Prompt Corrective Action (PCA) NCUA Examination & Supervisory Process Enterprise Risk Management Expectations Compliance Management System (CMS) Board Governance & Reporting Records Retention Requirements
Bank Secrecy Act (BSA) USA PATRIOT Act Customer Identification Program (CIP) Customer Due Diligence (CDD) Beneficial Ownership Rule Suspicious Activity Reporting (SAR) Currency Transaction Reporting (CTR) OFAC Sanctions Compliance AML Independent Testing Requirements AML Training Requirements
Equal Credit Opportunity Act (ECOA / Regulation B) Fair Housing Act (FHA) Truth in Lending Act (TILA / Regulation Z) Real Estate Settlement Procedures Act (RESPA / Regulation X) Home Mortgage Disclosure Act (HMDA / Regulation C) Fair Credit Reporting Act (FCRA / Regulation V) Fair and Accurate Credit Transactions Act (FACTA) Military Lending Act (MLA) Servicemembers Civil Relief Act (SCRA) Flood Disaster Protection Act
Electronic Fund Transfer Act (EFTA / Regulation E) Truth in Savings Act (TISA / Regulation DD / NCUA Part 707) Expedited Funds Availability Act (Regulation CC) NACHA Operating Rules UCC Articles 3 & 4 Check 21 Act Wire Transfer Rules (UCC 4A / OFAC overlays) Remote Deposit Capture Compliance
Gramm-Leach-Bliley Act (GLBA) GLBA Safeguards Rule NCUA Cybersecurity Expectations Incident Response & Breach Notification Rules Vendor / Third-Party Risk Management Identity Theft Red Flags Rule
UDAAP Standards Debt Collection Rules CFPB Complaint Management Expectations Advertising & Marketing Compliance
NCUA Member Business Lending Rules (Part 723) Loan Participation & Concentration Risk Rules
CECL governance Fair servicing Collections compliance Bankruptcy handling Complaint analytics AI/model governance Digital banking compliance Cannabis banking risk Fintech partnership compliance State privacy laws ADA website accessibility Elder financial abuse reporting CFPB small business lending (1071) Leadership and Team Development
Requirements Education and Experience Requirements:
Required Knowledge, Skills & Abilities:
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May 22, 2026