FDIC Part 328 governs advertising for deposit products, and your SEO-optimized landing pages are considered advertising under these rules. Every webpage that promotes deposit accounts — whether a main product page or a content piece comparing savings rates — must display the official FDIC sign or the statement "Member FDIC."
The critical detail many banks miss: This applies to pages you're optimizing for search, not just your product catalog. If you publish a blog post titled "Best High-Yield Savings Accounts in [City]" and mention your bank's rates, that page needs FDIC disclosure.
- The official FDIC sign must be "clearly visible" — footer-only placement may not satisfy examiners
- Pages comparing your rates to competitors still require disclosure if promoting your products
- Non-deposit products (loans, investments) don't require FDIC signage but have their own disclosure rules
- Third-party sites linking to your offers may create compliance questions — document your affiliate and referral arrangements
For SEO purposes, the FDIC disclosure should appear in the visible content area, not buried in footers. Some banks include a brief compliance statement near rate mentions: "[Bank Name] is Member FDIC. Rates accurate as of [date] and subject to change." This addresses both FDIC requirements and the accuracy concerns examiners flag during website reviews.
This is educational content, not legal advice. Verify current requirements with your compliance team and legal counsel.