TOYOTA MOTOR CREDIT RECEIVABLES CORP
10-K, EX-20.A, 2000-12-22
ASSET-BACKED SECURITIES
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                                                            EXHIBIT 20(a)

Report of Independent Accountants on Compliance with
Specified Retail Receivable Servicing Standards



To the Board of Directors and Shareholder of
Toyota Motor Credit Corporation:

We have examined management's assertion about Toyota Motor Credit
Corporation's (the "Company's") compliance with the servicing standards
related to retail receivables identified in Exhibit I (collectively, the
"specified servicing standards") as set forth in the Mortgage Bankers
Association of America's Uniform Single Attestation Program for Mortgage
Bankers ("USAP") as of and for the year ended September 30, 2000 included in
the accompanying management assertion.  Management is responsible for the
Company's compliance with the specified servicing standards. Our
responsibility is to express an opinion on management's assertion about the
entity's compliance based on our examination.

Our examination was made in accordance with standards established by the
American Institute of Certified Public Accountants and, accordingly, included
examining, on a test basis, evidence about the Company's compliance with the
specified servicing standards and performing such other procedures as we
considered necessary in the circumstances.  We believe that our examination
provides a reasonable basis for our opinion. Our examination does not provide
a legal determination on the Company's compliance with the minimum servicing
standards.

In our opinion, management's assertion that the Company complied with the
aforementioned specified servicing standards as of and for the year ended
September 30, 2000 is fairly stated, in all material respects.



/s/ PRICEWATERHOUSECOOPERS LLP

Los Angeles, California
October 31, 2000


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Exhibit I

Specified Retail Receivable Servicing Standards

I.  ADVANCES

1.  Funds of the servicing entity shall be advanced in accordance with the
servicing agreement.

II.  RETAIL FINANCE RECEIVABLE PAYMENTS

1.  Retail finance receivable payments shall be deposited into the servicer's
bank accounts within two business days of receipt.

2.  Retail finance receivable payments made in accordance with the borrower's
loan documents shall be posted to the applicable borrower records within two
business days of receipt.

3.  Retail finance receivable payments shall be allocated to principal,
interest, insurance, taxes, and other items in accordance with the borrower's
loan documents.

4.  Retail finance receivable payments identified as loan payoffs shall be
allocated in accordance with the borrower's loan documents.

III.  DISBURSEMENTS

1.  Disbursements made via wire transfer on behalf of a borrower or investor
shall be made only by authorized personnel.

2.  Disbursements made on behalf of a borrower or investor shall be posted on
a timely basis to the borrower's or investor's records maintained by the
servicing entity.

3.  Amounts remitted to investors per the investor reports shall agree with
cancelled checks, or other form of payment, or bank statements.

IV.  BORROWER LOAN ACCOUNTING

1.  The servicing entity's borrower loan records shall agree with, or
reconcile to, the records of borrowers with respect to the unpaid principal
balance on a monthly basis.

V.  DELINQUENCIES

1.  Records documenting collection efforts shall be maintained during the
period a loan is in default and shall be updated at least monthly.  Such
records shall describe the entity's activities in monitoring delinquent loans
including, for example, phone calls, letters and payments rescheduling plan in
cases where the delinquency is deemed temporary (e.g. illness or
unemployment).



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                   MANAGEMENT ASSERTION AS TO COMPLIANCE




October 31, 2000





To Whom It May Concern:

As of and for the period ended September 30, 2000, Toyota Motor Credit
Corporation has complied in all material respects with the servicing standards
related to retail receivables identified in Exhibit I set forth in the
Mortgage Bankers Association of America's Uniform Single Attestation Program
for Mortgage Bankers.




      /S/ GEORGE E. BORST                     /S/ NOBUKAZU TSURUMI
---------------------------------       ---------------------------------
          George E. Borst                         Nobukazu Tsurumi
           President and                      Executive Vice President
      Chief Executive Officer                      and Treasurer





   /S/ LLOYD MISTELE
---------------------------------
       Lloyd Mistele
  Vice President, Treasury






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