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FDIC Federal Register Citations Hunter College Graduate Department of Urban Planning From: Beatrice Ammann [mailto:beatriceammann@hotmail.com] October 19, 2004 Robert E. Feldman Dear Mr. Feldman: The Hunter College Graduate Department of Urban Planning’s Fall 2004 Studio class strongly opposes the proposed rule changing the Community Reinvestment Act (CRA) regulations. In our opinion, it will greatly undermine all New York communities. Please do not adopt this rule. Over the past ten years our Studio course has directly seen the benefits the CRA provides small community-based organizations. Communities that we have worked with throughout the five New York City boroughs have been able to plan for schools, community centers, affordable housing, homes for the elderly, youth centers, and drug rehab centers with the assistance of the CRA. If the CRA did not thoroughly examine all banks, it is doubtful that adequate funding would be allocated to meet their needs. Through our work with nonprofit community organizations we can attest that there is great need for financial support. We oppose the FDIC's proposal to allow banks with assets above $250 million to be examined as small banks under the Community Reinvestment Act. This policy would reduce lending, investments and services in low-income communities. Respectfully, The Fall 2004 Studio: Hunter College 695 Park Avenue |
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Last Updated 11/11/2004 | regs@fdic.gov |