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FDIC Federal Register Citations

From: Lois Athey [mailto:atheyl@erols.com]
Sent: Wednesday, October 20, 2004 4:49 PM
To: Comments
Subject: Oppose Efforts to Weaken CRA RIN number 3064-AC50


Lois Athey
1907 Kenyon St. NW
Washington, DC 20010


October 20, 2004

Federal Deposit Insurance Commission
,


Dear Federal Deposit Insurance Commission:

Despite the successes of community development locally and nationally, the
banks and thrift institutions that provided the loans, services, and
investments to build new homes, businesses, and community facilities may
no longer have the impetus to do so if the FDIC raises the comprehensive
CRA exam threshold.

This proposed change would have a devastating effect on affordable housing
and community development investment throughout the nation, particularly
in rural areas.

The FDIC proposes that the community development loans and investments in
rural areas can benefit any group of individuals, not just low- and
moderate-income individuals. Currently, banks have to finance affordable
housing and economic development projects that target low- and
moderate-income borrowers and neighborhoods. Under the proposed changes,
nothing in the CRA regulations would prevent banks from earning CRA points
for financing developments with no community development benefit
whatsoever. Moreover, the one part exams would cover 99 percent of all
FDIC-supervised banks located in rural areas.

President Bush’s comments promoting an "Ownership Society" are truly
disingenuous if the actions of officials he appointed are undermining
proven laws that revitalize communities, increase minority homeownership,
and increase small business ownership for women and minorities.

Finally, I would like to point out that I have worked with community-based
groups in many small towns and rural areas (to name a few: Mankato and
Hibbing, Minnesota, Rapid City, South Dakota, Boise, Idaho, etc) and in
all instances financial participation and partnerships from banks were
crucial in revitalizing communities. In one instance, in Rapid City, South
Dakota banks had not made one loan to Native American families prior to
the community's intervention. Redlining is not necessarily a thing of the
past. Banks must be held accountable. The CRA is a major tool in
furthering efforts to have an equal playing field for minorities who have
not had access to financial resources and lending tools for their
communities.

Please rescind your proposal.

Sincerely,

Lois Athey





Last Updated 11/12/2004 regs@fdic.gov

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