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 | FDIC Federal Register Citations
 
  From: jdraut@comcast.net [mailto:jdraut@comcast.net] Sent: Tuesday, October 19, 2004 11:51 AM
 To: Comments
 Subject: Comments: RIN 3064-AC50
 October 18, 2004
 Mr. Robert E. Feldman
 Executive Secretary
 Attention: Comments/Legal ESS
 Federal Deposit Insurance Corporation
 550 17th St. NW
 Washington DC 20429
 
 Ref: RIN 3064-AC50
 
 Dear Mr. Feldman,
 
 As a concerned citizen and a Christian who cares about those who are the least
  among us, I urge you to withdraw the FDIC proposed changes to the Community
  Reinvestment Act (CRA).
 
 By requiring banks with assets greater than $250 million to comply with the “three
  point audit test” of lending, investing, and providing banking services
  to low- and middle-income communities, the CRA has been one of the most successful
  community development programs. The CRA had provided $1.5 trillion for housing
  developments, medical clinics, and other community projects that would never
  have been completed without the CRA.
 
 Now your proposal will increase the small bank definition to banks with assets
  under one billion dollars. Thus, the “three point audit test” will
  no longer apply to most banks throughout the U.S. In my state of Illinois,
  this will leave only 13 banks that will still be required to meet the stricter
  lending, investing, and services standards. This will result in fewer loans
  and investments in affordable housing projects, clinics, community centers,
  and economic development projects. Along with the Section 8 housing voucher
  changes that result in less housing for poor residents, I believe the loss
  of loans and investments in affordable housing projects will worsen the already
  difficult low- and middle-income housing situation.
 
 Your proposed changes do not uphold the purposes of the CRA. They should be
  withdrawn.
 
 Sincerely,
 
 A.J. Draut
 524 S. Banbury Rd.
 Arlington Heights IL
 
 
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