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FDIC Federal Register Citations From: Grantee Grantor Services [mailto:ggservices@ecentral.com] I believe that the proposed change in bank asset limits for full review
is not a wise choice. Especially in rural states, an asset limit of $1
billion would exclude too many banks from appropriate review for compliance
with Community Reinvestment requirements. The affordable housing situation
continues to be a crisis largely out of the public eye. Too many people
are either homeless, have choice limited to crowded or deteriortated
conditions, or spend an exhorbitant amount of available income for housing.
Housing is increasingly beyond the reach of more and more families as
incomes rise more slowly than housing prices. While we do not want bamks
to make unwise investments, continued focus on providing capital to address
housing and other banking needs of lower income persons must continue
to be an important focus of our banking institutions, including those
with assets between $250 million and $1 billion. I urge you to withdraw
this proposed rule.
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Last Updated 11/09/2004 | regs@fdic.gov |