Attached files

file filename
10-K - FORM 10-K - CAPITAL ONE MULTI ASSET EXECUTION TRUSTd10k.htm
EX-34.4 - EXHIBIT 34.4 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex344.htm
EX-33.3 - EXHIBIT 33.3 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex333.htm
EX-35.1 - EXHIBIT 35.1 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex351.htm
EX-31.1 - EXHIBIT 31.1 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex311.htm
EX-35.2 - EXHIBIT 35.2 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex352.htm
EX-34.1 - EXHIBIT 34.1 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex341.htm
EX-34.3 - EXHIBIT 34.3 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex343.htm
EX-35.3 - EXHIBIT 35.3 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex353.htm
EX-33.4 - EXHIBIT 33.4 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex334.htm
EX-33.2 - EXHIBIT 33.2 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex332.htm
EX-33.1 - EXHIBIT 33.1 - CAPITAL ONE MULTI ASSET EXECUTION TRUSTdex331.htm

Exhibit 34.2

Report of Independent Registered Public Accounting Firm

First Data Resources, LLC and

REMITCO, LLC

We have examined management’s assertion, included in the accompanying Report of Management on Assessment of Compliance with SEC Regulation AB Servicing Criteria, that First Data Resources LLC and its affiliate, REMITCO LLC (jointly, First Data) complied with the servicing criteria applicable to it under the Securities and Exchange Commission’s Regulation AB Section 229.1122(d) — all servicing criteria except for the criteria set forth in Sections 229.1122(d)(1)(i)-(iv), 1122(d)(2)(i)-(vii), 1122(d)(3)(i)-(iv), 1122(d)(4)(i)-(iii), 1122(d)(4)(iv) (except with respect to the servicing of transactions on the remittance payment platform relating to the opening, listing, and depositing of remittance payments mailed to post office boxes serviced by First Data pursuant to the agreements between First Data and Capital One Services, LLC, together with its affiliates, Capital One Bank (USA), National Association (formerly known as Capital One Bank) and Capital One Auto Finance, Inc. (“the Platform”)), and 1122(d)(4)(v)-(xv). Management is responsible for First Data’s compliance with the servicing criteria. Our responsibility is to express an opinion on management’s assertion about First Data’s compliance with the servicing criteria based on our examination.

Our examination was conducted in accordance with attestation standards established by the American Institute of Certified Public Accountants, as adopted by the Public Company Accounting Oversight Board (United States) and, accordingly, included examining, on a test basis, evidence about First Data’s compliance with the applicable servicing criteria and performing such other procedures as we considered necessary in the circumstances. Our examination included testing of less than all of the individual asset backed transactions and securities that comprise the Platform, testing of less than all of the servicing activities related to the Platform, and determining whether First Data processed those selected transactions and performed those selected activities in compliance with the servicing criteria. Furthermore, our procedures were limited to the selected transactions and servicing activities performed by First Data during the period covered by this report. Our procedures were not designed to determine whether errors may have occurred either prior to or subsequent to our tests that may have affected the balances or amounts calculated or reported by First Data during the period covered by this report for the selected transactions or any other transactions. We believe that our examination provides a reasonable basis for our opinion. Our examination does not provide a legal determination on First Data’s compliance with the servicing criteria.

In our opinion, management’s assertion that First Data complied with the aforementioned servicing criteria as of and for the year ended December 31, 2009 for the remittance payment platform is fairly stated, in all material respects.

/s/ Ernst & Young LLP

February 18, 2010

Des Moines, Iowa