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FDIC Federal Register Citations

Commonwealth National Bank

Robert E. Feldman, Executive Secretary
Attention: Comments
Federal Deposit Insurance Corporation
550 17th Street, NW
Washington, DC 20429

Dear Mr. Feldman:

I am the President of Commonwealth National Bank, a $160 million bank located in Worcester, Massachusetts. As a community banker, I strongly endorse the federal bank regulators' proposal to increase the asset size of banks eligible for the small bank streamlined Community Reinvestment Act (CRA) examination from $250 million to $500 million and elimination of the holding company size limit (currently $1 billion). This proposal will greatly reduce our regulatory burden.

The small bank CRA examination process was an excellent innovation. As a community banker, I applaud the agencies for recognizing that it is time to expand this critical burden reduction benefit to larger community bank. At this critical time for the economy this will allow more community banks to focus on what they do best-fueling America's local economies. When a bank must comply with the requirements of the large bank CRA evaluation process, the costs and burdens increase dramatically. Since we have to allocate resources to CRA compliance that reduces our ability to meet the credit demands of the community. For example in my bank it costs us over $20 thousand in personnel costs for CRA compliance. That time could be used to better serve our customers needs, increase our efficiencies and make our bank stronger in the long run.

Adjusting the asset size limit also more accurately reflects significant changes and consolidation within the banking industry in the last 10 years. To be fair, banks should be evaluated against their peers, not banks hundreds of time their size. The proposed change recognizes that it's not right to assess the CRA performance of a $500 million bank or a $1 billion bank with the same exam procedures used for a $500 billion bank. Large banks now stretch from coast-to-coast with assets in the hundreds of billions of dollars. It is not fair to rate a community bank using the same CRA examination. While the proposed increase is a good first step the size of banks eligible for the small-bank streamlined CRA examination should be increased eventually to $2 billion, or $1 billion
at a minimum.

Ironically, community activists seem oblivious to the costs and burden while at the same time objecting to bank mergers that remove the local bank from the community. This is contradictory. If community groups want to keep the local banks in the community where they have better access to decision-makers, they must recognize that regulatory burdens are strangling smaller institutions and forcing them to consider selling to larger institutions that can afford the burdens by passing the cost along to their customers.

Increasing the size of the banks eligible for the small-bank streamlined CRA examination does not relieve banks from CRA responsibilities. Since the survival of many community banks is closely intertwined with the success and viability of their communities, the increase will merely eliminate some of the most burdensome requirements.

In summary, I believe that increasing the asset-size of banks eligible for the small bank streamlined CRA examination process is an important first step to reducing regulatory burden. I also support eliminating the separate holding company qualification for the streamlined examination, since it places small community banks that are part of a larger holding company at a disadvantage to their peers. While community banks still must comply with the general requirements of CRA, this change will eliminate some of the most problematic and burdensome elements of the current CRA regulation from community banks that are drowning in regulatory red-tape. I also urge the agencies to seriously consider raising the size of banks eligible for the streamlined examination to $2 billion in assets to better reflect the current demographics of the banking industry.

Sincerely,

Commonwealth National Bank
Charles R. Valade
President/CEO
33 Waldo St
Worcester, MA 01613

Last Updated 05/17/2004 regs@fdic.gov

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