Privacy Policy & Disclosures

Thank you for viewing our privacy statement. Visitors to the Greater Cincinnati Credit Union web site will remain anonymous. We do not collect personal identifying information about visitors to our site.

Our servers collect standard non-identifying information about visits to the site, such as date and time visited, IP address, city, state, and country. This information is used to compile statistics on site use.

If you have provided personal identifying information via e-mail (such as name and address), the information will only be used to communicate with you to handle your request. It is not sold or transferred to other parties. Greater Cincinnati Credit Union is committed to protecting your privacy.

In addition, if you link to another site from any of our pages, you are leaving our site pages, and we cannot be held responsible for any information that may be gathered at a linked site. We make every effort, however, to ensure that all linked sites follow similar privacy policies as ours to offer you maximum security and privacy.

Greater Cincinnati Credit Union is not responsible for the content or availability of sites linked to our home page. We take reasonable precautions to assure that any site you link to from our home page respects your right to privacy, however, we cannot guarantee it. Please check sites for certification before submitting confidential information.

“Federal law provides important protections to members of the Armed Forces and their dependents relating to extensions of consumer credit. In general, the cost of consumer credit to a member of the Armed Forces and his or her dependent may not exceed an annual percentage rate of 36 percent. This rate must include, as applicable to the credit transaction or account: The costs associated with credit insurance premiums; fees for ancillary credit products sold in collection with the credit transaction; an applicable fee charged (other than certain application fees for specified credit transactions or accounts); and any participation fee charged (other than certain participation fees for a credit card account).”

This is in response to the Transparency in Coverage (TiC) Rule. The TiC Final Rule was issued November 12, 2020. This is a rule issued by The Department of Health and Human Services, the Department of Labor, and the Department of the Treasury (collectively, “the Departments”) and requires healthcare plans and insurers (“payers”) to disclose their in-network and out-of-network commercial medical rates in a machine-readable file on a public facing webpage. A machine-readable file is a document with content that can be readily processed by computers and displayed in a standardized format for members to access. To comply with this rule, Humana published machine-readable files to their public-facing Plan and Issuer Price Transparency webpage on July 1, 2022. Once on this webpage, individuals can access both the in-network and an out-of-network files.