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 WNC & ASSOCIATES, INC.
 From: NAAHLSent: Wednesday, September 08, 2004 3:46 PM
 To: Comments
 Subject: RIN number 3064-AC50
             September 8, 2004  Donald E. Powell Chairman
 Federal Deposit Insurance Corporation
 550 17th Street, NW
 Washington, DC 20429
 Re: RIN Number 3064-AC50
 Dear Mr. Powell:
 As I indicated
              in my letter of August 6, 2004 (below), WNC & Associates
            believes that the FDIC's proposal to quadruple the asset threshold
            for the "streamlined" CRA exam to $1 billion will harm
            affordable housing and community and economic development in LMI
            communities, particularly in rural areas, and we urge you not to
            adopt it.  Sincerely,  Wilfred N. Copper, Sr.Chairman of the Board
 
 
 WNC & ASSOCIATES,
                INC.
 
 August 13, 2004
 Donald E. Powell Chairman
 Federal Deposit Insurance Corporation
 550 17th Street, NW
 Washington, DC 20429
 John M. Reich Vice Chairman
 Federal Deposit Insurance Corporation
 550 17th Street,
            NW
 Washington, DC 20429
 Thomas J. Curry Director
 Federal Deposit Insurance Corporation
 550 17th Street,
              NW
 Washington, DC 20429
 John D. Hawke, Jr. Comptroller of the Currency
 Office of the Comptroller of the Currency
 250E Street, SW
 Washington, DC 20219
 Dear Sirs:  WNC is a national real estate company with over three decades of
            experience investing in affordable rental housing. The company is
            headquartered in California and has acquired a portfolio of affordable
            housing with a cost of over $2 billion representing more than 800
            properties in 40 states and the District of Columbia. Since 1971,
            WNC and its affiliates have acquired and/or structured investments
            in more than 150 affordable rental properties in California.  We understand that the FDIC shortly will consider a proposed rule
            change by the Office of Thrift Supervision (OTS) to increase the
            asset threshold for the CRA small bank exam from $250 million to
            $1 billion. We believe this proposal could have negative consequences
            for hundreds of communities, including many in rural areas, and we
            urge you not to adopt it.  While we understand
              that the OTS ruling is intended to help reduce regulatory burden
              for
              small banks, no studies have been conducted
            on the potential benefits – or harm – of such a change. There is considerable evidence to believe that proposal could have
            severe, unintended consequences for the flow of much-needed private
            capital and services to LMI communities.
 If the FDIC adopts
              the OTS' proposal, 2,000 fewer insured institutions, with assets
              of
              nearly $1 trillion, would have far less impetus to
            provide investments and services in LMI communities – and an
            estimated $5 billion that would have been available, under the current
            rules, for affordable housing and community development over the
            next few years would be lost. 
 As an example, in California the impact will be even greater, because
              banks of this size make up a greater proportion of financial institutions
              here than in the nation as a whole. Also, because institutions
              with assets between $250 million and $1 billion comprise a substantial
              market share in rural and exurban areas, the proposed change also
              means that in some states and many communities there will no longer
              be any insured institutions with a CRA impetus to invest in affordable
              housing, tax credits, and even fmancial literacy training. This
              would have a disproportionate impact in the Central Coast, Northern
            California, and the fast-growing Central Valley and Sierra Foothills.
 As federal resources for affordable housing and community development
            continue to dwindle, our nation's poorest communities can ill-afford
            to lose billions of dollars in private investment and services. We
            urge the FDIC not to move forward with OTS' proposal, and we urge
            all four bank regulatory agencies to continue to consider rule changes
            that update CRA for the communities the Act is intended to serve.  Sincerely, Wilfred N. Cooper, Sr.
 Chairman of the Board
 
 
 
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