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FDIC Federal Register Citations Cameron State Bank Robert E. Feldman, Executive Secretary Re: Proposed Amendments to CRA Dear Mr. Feldmen, In FIL- 108-2004, your agency asked banks to comment on the proposed
amendments to Community Reinvestment Act. One of the proposed amendments
would change the definition of a small institution to mean an institution
with total I serve as a Vice President for a community bank that became a “large bank” under the CRA two years ago. Our institution has had to deal with the increased regulatory burden of data collection and reporting on its small business, small farm and community development loans for the last two years. This is very burdensome to community banks that make the majority of their loans inside their assessment areas. Another issue involves the CRA examination process. Under the large bank CRA examination process, the investment test is difficult for a community bank to attain a satisfactory rating. We compete for suitable investments in our market with billion dollar regional and national banks that have an unfair advantage due to their size. They literally will spend whatever it takes to get those investments. The smaller institutions are then at a disadvantage during exam time. Our institution is in favor of changing the definition of a small institution to one with total assets up to 1 billion without regard to the holding company assets. Thank you for considering this matter. Sincerely Owen Pickett
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Last Updated 11/10/2004 | regs@fdic.gov |