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FDIC Federal Register Citations From: Eunice Harps [mailto:harps@mhic.com] I am writing to express my strong opposition to the proposed rule that would have the effect of exempting financial institutions with assets between $250 million and $1 billion from meeting the current requirements of the Community Reinvestment Act (CRA). While there might be ways to improve the current CRA regulations, the proposed rule will dramatically alter the incentives for the majority of banks to participate in community reinvestment initiatives. Moreover, the rule is being considered with far too little deliberation and input from the constituencies that CRA was designed to serve. If we have learned anything about community reinvestment over the last three decades, it is that success depends fundamentally on consultation with the communities affected - in terms of their needs and the best way to meet those needs. This requirement extends not only to banks - but also to the FDIC itself as it considers this radical change to the way in which CRA is being implemented. I am an employee of an organization that has raised over $750 million in capital from its member banks to finance affordable housing and community development. That capital has served critical community needs. Eunice M. Harps |
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Last Updated 11/12/2004 | regs@fdic.gov |