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FDIC Federal Register Citations

FARMERS STATE BANK

From: Kim Nelson [mailto:KimNelson@fsbmail.net]
Sent: Monday, September 13, 2004 5:18 PM
To: Comments
Subject: RIN 3064-AC50

Robert E. Feldman, Executive Secretary
Attn: Comments/Executive Secretary Section
Federal Deposit Insurance Corporation
500 17th Street NW
Washington, DC 20429

RE: Community Reinvestment Act Proposal
RIN 3064-AC50

Dear Mr. Feldman:

Please accept this as my comment letter to support your proposed
increase to the small bank asset threshold from $250 million to $1
billion under the Community Reinvestment Act (CRA).

I work for a community bank and feel the regulatory burden placed on
our industry has increased substantially and this trend is continuing.
We keep stretching already limited resources in order to be able to
comply with requirements such as those for data reporting under CRA. It
is time to ease some of these burdens and I applaud the FDIC for taking
the initiative in doing so.

Increasing the size of banks eligible for the small bank CRA exam will
not relieve banks from CRA responsibilities. We understand the
importance of CRA and how vital it is to our community. The growth and
survival of the bank is dependent on the growth and survival of the
community. With these changes, we would merely have a reduction in
reporting requirements and costs, freeing up more time and money that
could be better spent in the development of the community.

I do not support the additional community development test for banks
between $250 million and $1 billion. Banks have had several consecutive
quarters of record growth. As this trend continues, more financial
institutions will continue to grow towards and surpass the $1 billion
mark, therefore subject to the large bank examination procedures. It
will be very burdensome for institutions under $1 billion currently
subject to large bank examination procedures to change to these new
requirements and then back to large bank requirements after they reach
$1 billion. However, I do support the addition of rural areas to the
definition of community development activity.

Thank you for allowing me to comment on this proposal.

Sincerely,

Kim W. Nelson


 

Last Updated 09/15/2004 regs@fdic.gov

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