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FDIC Federal Register Citations From: jj piontek [mailto:jjmjpiontek@hotmail.com] October 12, 2004 Mr. Robert E. Feldman 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 ³three point audit test² 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 ³three point audit test² 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 Your proposed changes do not uphold the purposes of the CRA. They should be withdrawn. Sincerely,
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Last Updated 10/30/2004 | regs@fdic.gov |