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Bank of America Corporate Addresses: HQ, SEC Filings & Shareholder Contact

What is the historical address of Bank of America’s corporate headquarters prior to its 2004 move to Charlotte?

For remittance businesses, understanding the historical roots of major financial institutions like Bank of America offers valuable context on U.S. banking evolution—and how infrastructure shifts impact cross-border payments. Prior to its 2004 relocation to Charlotte, North Carolina, Bank of America’s corporate headquarters was located at 555 California Street in San Francisco, California—a landmark skyscraper that symbolized the bank’s West Coast origins and legacy dating back to Bank of Italy, founded by A.P. Giannini in 1904.

This San Francisco address wasn’t just symbolic—it served as the nerve center for early international wire operations, laying groundwork for today’s global remittance networks. As Bank of America expanded its correspondent banking relationships from this base, it helped shape standards still used in remittance compliance, FX pricing, and SWIFT integrations.

For modern remittance providers, recognizing such historical hubs underscores the importance of regulatory familiarity, geographic banking partnerships, and legacy system interoperability. Whether sending money from the U.S. to Latin America or the Philippines, leveraging institutions with deep-rooted infrastructure—like those forged in San Francisco—can enhance speed, transparency, and trust.

Staying informed about banking history helps remittance firms anticipate regulatory trends and build resilient, future-ready payment solutions—all while honoring the foundations that made seamless cross-border finance possible.

Where can I verify the authenticity of Bank of America’s corporate office address using a government or regulatory source?

When sending international remittances, verifying the legitimacy of financial institutions like Bank of America is essential for compliance and fraud prevention. For businesses in the remittance sector, confirming the official corporate office address helps ensure regulatory alignment and builds client trust.

The most authoritative source to verify Bank of America’s corporate headquarters is the U.S. Securities and Exchange Commission (SEC). As a publicly traded company (NYSE: BAC), Bank of America files annual Form 10-K reports that list its principal executive offices—including the verified address: 222 Broadway, New York, NY 10038. These filings are publicly accessible via the SEC’s EDGAR database (sec.gov/edgar), a free, government-maintained resource trusted by regulators worldwide.

Additionally, the Office of the Comptroller of the Currency (OCC), Bank of America’s primary federal regulator, confirms this address in its charter and enforcement records—available at occ.gov. Cross-referencing both SEC and OCC sources satisfies AML/KYC due diligence requirements under FinCEN guidelines.

For remittance providers, embedding such verification steps into onboarding or partner vetting workflows strengthens audit readiness and mitigates reputational risk. Always rely on primary regulatory databases—not third-party directories—to validate banking entities.

Does Bank of America publish a verified corporate address on its SEC EDGAR profile page?

When evaluating financial partners for remittance services, verifying corporate legitimacy is critical. One key step is confirming a bank’s official presence through authoritative sources like the SEC EDGAR database. For institutions like Bank of America, this verification adds trust and compliance assurance—essential for remittance businesses handling cross-border transactions.

Yes, Bank of America publishes a verified corporate address on its SEC EDGAR profile page. As a publicly traded company (NYSE: BAC), it files annual 10-K reports and other disclosures with the U.S. Securities and Exchange Commission. Its EDGAR profile lists its principal executive offices at 222 Broadway, New York, NY 10038—a legally registered and consistently updated address across filings.

For remittance providers, cross-referencing this address helps validate banking relationships, support KYC/AML due diligence, and strengthen partnership credibility with regulators and clients. It also signals transparency—vital when selecting correspondent banks or liquidity partners. Always use EDGAR (sec.gov/edgar) directly—not third-party sites—to ensure accuracy and timeliness.

By leveraging official SEC data, remittance businesses reduce operational risk and reinforce compliance posture. Verifying addresses via EDGAR isn’t just procedural—it’s a foundational best practice in global payments infrastructure.

What is the corporate office address listed in the Federal Reserve’s Uniform Bank Performance Report for BofA?

When evaluating banking partners for your remittance business, understanding institutional credibility is essential. The Federal Reserve’s Uniform Bank Performance Report (UBPR) provides authoritative financial and operational data on U.S. banks—including Bank of America (BofA). While the UBPR itself does not list corporate office addresses (it focuses on performance metrics like capital ratios and asset quality), BofA’s official corporate headquarters—verified via SEC filings and its investor relations site—is 222 Broadway, New York, NY 10038.

For remittance providers, partnering with a Tier-1 bank like BofA offers advantages: robust ACH and wire infrastructure, global correspondent networks, and compliance support for FinCEN and OFAC requirements. Confirming a bank’s physical presence reinforces legitimacy—a key factor when selecting custodial or settlement partners.

Note: Always cross-reference address information with official sources—not third-party directories—since regulatory filings (e.g., Form 10-K) supersede unofficial listings. The UBPR remains invaluable for assessing financial health, but operational details require supplemental verification. For remittance startups, leveraging BofA’s scale while ensuring alignment with FATF-compliant KYC protocols strengthens trust and scalability.

Is there a dedicated mailing address for shareholder communications sent to Bank of America’s corporate office?

For remittance businesses partnering with or sending funds through Bank of America, understanding official communication channels is essential for compliance and operational efficiency. While Bank of America does not maintain a public, dedicated mailing address solely for shareholder communications at its corporate office, investors and business entities—including remittance providers—can direct formal correspondence to its official Investor Relations address: Bank of America Corporation, Attn: Investor Relations, 100 North Tryon Street, Charlotte, NC 28255.

This address serves as the primary point of contact for shareholder inquiries, regulatory disclosures, and corporate governance matters. Remittance firms engaging in high-volume transactions or seeking formal clarifications on AML/KYC policies, wire processing standards, or account reconciliation protocols may use this channel for documented, traceable communication.

Note that Bank of America strongly encourages digital submissions via its Investor Relations portal (investor.bankofamerica.com) for faster response times and secure document handling—especially critical for time-sensitive remittance operations. Physical mail remains valid but may entail longer processing windows.

Always verify current contact details on Bank of America’s official website before sending sensitive financial or compliance-related correspondence. Accurate, authoritative communication channels help remittance businesses uphold transparency, reduce settlement delays, and strengthen institutional trust with major banking partners.

What is the address of the building housing Bank of America’s Corporate Governance office?

When managing international remittance operations, understanding the regulatory and corporate governance frameworks of major financial institutions is essential. While many seek the physical address of Bank of America’s Corporate Governance office—often cited as 100 North Tryon Street, Charlotte, NC 28255—this detail serves more as a reference point than an operational requirement for remittance providers.

Remittance businesses don’t need to physically engage with Bank of America’s governance office to comply with AML/KYC rules or process cross-border payments. Instead, they rely on secure APIs, correspondent banking relationships, and adherence to OFAC, FinCEN, and FATF guidelines—all overseen remotely by internal compliance teams and external auditors.

That said, knowing where key decision-making bodies reside underscores the importance of institutional transparency and accountability—values your remittance service should mirror. Clients trust providers who demonstrate rigorous governance, clear audit trails, and proactive regulatory alignment—not just speed or low fees.

Focus on building compliant infrastructure: real-time transaction monitoring, multi-jurisdictional licensing, and documented governance policies. These elements matter far more than mailing documents to Charlotte. Prioritize trust, traceability, and regulatory readiness—and watch your remittance business thrive globally.

Does Bank of America provide an alternate corporate office address for international correspondence (e.g., non-U.S. mail)?

For global remittance businesses partnering with Bank of America, understanding international correspondence protocols is essential. While Bank of America’s primary corporate headquarters is located at 100 North Tryon Street, Charlotte, NC 28255 (USA), the bank does not publicly list a dedicated alternate corporate office address exclusively for non-U.S. mail or international correspondence.

Instead, Bank of America recommends using its official U.S. mailing address for formal corporate communications—including those originating overseas—provided envelopes are clearly marked “Attn: [Specific Department]” and include appropriate international postage and customs documentation. For time-sensitive or compliance-related matters, remittance providers should contact Bank of America’s Global Financial Institutions Group directly via secure channels or through their assigned relationship manager.

It’s important to note that Bank of America operates internationally through subsidiaries and affiliates—not U.S.-based branches—so cross-border correspondence often flows through local legal entities (e.g., Bank of America Merrill Lynch International Limited in London). Remittance firms should verify jurisdiction-specific requirements and avoid using unverified “international office” addresses, as doing so may delay processing or cause delivery failures.

Always consult Bank of America’s official website or your account executive for up-to-date contact guidance—ensuring seamless, compliant, and efficient international remittance operations.

What is the official address used when filing Form D (for exempt offerings) with the SEC on behalf of Bank of America Corporation?

When filing Form D for exempt offerings with the U.S. Securities and Exchange Commission (SEC), accuracy is critical—especially for major financial institutions like Bank of America Corporation. The official SEC mailing address for paper submissions of Form D is: *U.S. Securities and Exchange Commission, 100 F Street NE, Washington, DC 20549*. While electronic filing via the SEC’s EDGAR system is mandatory for most issuers, certain exemptions or legacy filings may still involve postal submission, making this address essential for compliance.

For remittance businesses operating under Regulation D exemptions—or partnering with large banking entities—understanding official SEC correspondence addresses supports regulatory diligence and audit readiness. Ensuring correct documentation avoids delays, penalties, or disqualification from exemption status, which could impact capital-raising efforts vital to scaling cross-border payment infrastructure.

Bank of America, as a registered broker-dealer and reporting issuer, adheres strictly to SEC protocols. Remittance firms leveraging similar exemptions should mirror this precision—verifying addresses, deadlines, and electronic filing requirements through the SEC’s official website (sec.gov). Staying updated on SEC guidance helps maintain trust with regulators, investors, and global customers alike.

 

 

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