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FDIC Federal Register Citations


Northeast Ventures Corporation

From: Mark Phillips [mailto:mphillip@neventures.com]
Sent: Thursday, September 23, 2004 4:24 PM
To: Comments
Subject: Community Reinvestment -- RIN 3064-AC50

September 23, 2004

Robert E. Feldman
Executive Secretary
Attn.: Comments/Legal ESS
Federal Deposit Insurance Corporation
550 17th Street N.W.
Washington, DC 20429

RE: RIN 3064-AC50

Dear Mr. Feldman,

I am Mark R. Phillips and I am Vice President of Northeast Ventures Corporation, a community development venture capital firm operating in northeastern Minnesota. We manage approximately $16 million in capital, much of it provided by non-traditional investors. Northeast Ventures strongly opposes your proposal to raise the definition of "small institution" from its current $250 million in assets to the proposed $1 billion. We are also concerned that your proposal to modify the definition of "community development" to include any investing or service activities in rural areas runs counter to the goals of the Act. We are concerned how the proposed changes would affect local banking markets. We feel that this proposal could have very negative effects on many local communities. Independent research indicates that the proposed FDIC changes would mean only 4% of all FDIC regulated institutions would be covered by the more rigorous Large Institutions exam.

We are also opposed to your proposal to change the definition of "community development", which would append "rural areas" to the current definition of community development. Our organization believes that the current definition, which clearly and rightly emphasizes low or moderate income individuals and geographies, is the proper definition. Northeast Ventures believes re-defining CRA is not the proper way to address the financial challenges facing rural populations and communities and encourages the FDIC and all of the federal regulators to continue to focus on improving access to credit and capital in rural parts of the United States.

Northeast Ventures Corporation urges the FDIC to reconsider the proposed changes to the CRA regulation, which appear inconsequential at the national scale. We feel the proposed changes would have substantial adverse consequences in rural communities. We also feel strongly that the proposes change in "community development", which is intended to offset these negative effects, would result in less access to credit and capital for low to moderate income people in rural communities.

Thank you for providing the opportunity to comment on you proposed changes to the FDIC's CRA regulations.

Sincerely

Mark R. Phillips
Vice President
Northeast Ventures Corporation
747 Sellwood Building
202 West Superior Street
Duluth, Minnesota

 

Last Updated 10/05/2004 regs@fdic.gov

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