Attached files

file filename
EX-31.1 - EX-31.1 - World Omni Auto Receivables Trust 2014-Av405817_ex31-1.htm
EX-35.1 - EX-35.1 - World Omni Auto Receivables Trust 2014-Av405817_ex35-1.htm
EX-34.1 - EX-34.1 - World Omni Auto Receivables Trust 2014-Av405817_ex34-1.htm
EX-33.2 - EX-33.2 - World Omni Auto Receivables Trust 2014-Av405817_ex33-2.htm
EX-33.1 - EX-33.1 - World Omni Auto Receivables Trust 2014-Av405817_ex33-1.htm
10-K - 10-K - World Omni Auto Receivables Trust 2014-Av405817_10-k.htm

 

EXHIBIT 34.2

 

[LOGO] Deloitte

 

Deloitte & Touche LLP

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Suite 1400

San Francisco, CA 94105

USA

Tel: +1 415 783 4000

www.deloitte.com

 

REPORT OF INDEPENDENT REGISTERED PUBLIC ACCOUNTING FIRM

 

 

To the Audit and Finance Committee of the Board of Directors

MUFG Americas Holdings Corporation
San Francisco, California

 

We have examined management’s assertion, included in the accompanying Management’s Report on Assessment of Compliance with Securities and Exchange Commission (SEC) Regulation AB Servicing Criteria, that MUFG Union Bank, N.A. (the “Bank”), a wholly-owned subsidiary of MUFG Americas Holdings Corporation, complied with the servicing criteria set forth in Item 1122(d) of the SEC’s Regulation AB for the servicing of certain retail installment contracts for World Omni Auto Receivables Trust 2014-A (the “Platform”) as of December 31, 2014 and for the period from April 23, 2014 to December 31, 2014 excluding criteria 1122(d) (1)(i), (1)(ii), (1)(iii), (1)(iv), (2)(i), (2)(iii), (2)(vi), (2)(vii), (3)(i), (4)(i), (4)(ii), (4)(iii), (4)(iv), (4)(v), (4)(vi), (4)(vii), (4)(viii), (4)(ix), (4)(x), (4)(xi), (4)(xii), (4)(xiii) (4)(xiv), and (4)(xv), which management has determined are not applicable to the activities performed by the Bank with respect to the Platform. Management is responsible for the Bank’s compliance with the servicing criteria other than allocating amounts due to investors with regards to servicing criterion 1122(d)(3)(ii). Our responsibility is to express an opinion on management’s assertion about the Bank’s compliance with the servicing criteria based on our examination.

 

Our examination was conducted in accordance with the standards of the Public Company Accounting Oversight Board (United States) and, accordingly, included examining, on a test basis, evidence about the Bank’s compliance with the applicable servicing criteria, including tests on a sample basis of the servicing activities related to the Platform, determining whether the Bank performed those selected activities in compliance with the servicing criteria during the specified period, and performing such other procedures as we considered necessary in the circumstances. Our procedures were limited to selected servicing activities performed by the Bank during the period covered by this report and, accordingly, such samples may not have included servicing activities related to each asset-backed transaction included in the Platform. Further, an examination is not designed to detect noncompliance arising from errors that may have occurred prior to the period specified above that may have affected the balances or amounts calculated or reported by the Bank during the period covered by this report. We believe that our examination provides a reasonable basis for our opinion. Our examination does not provide a legal determination on the Bank’s compliance with the servicing criteria.

 

In our opinion, management’s assertion that the Bank complied with the aforementioned applicable servicing criteria as of December 31, 2014 and for the period from April 23, 2014 to December 31, 2014 for the World Omni Auto Receivables Trust 2014-A, is fairly stated, in all material respects.

 

 

/s/ Deloitte & Touche LLP

 


February 26, 2015

 

 

 

 

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