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FDIC Federal Register Citations Community
Bank Mr. Robert E. Feldman Re: RIN Number 3064-AC50: FDIC Proposed Increase in the Threshold for the Small Bank CRA Streamlined Examination Dear Mr. Feldman, I am the President of Community Bank, Ellisville, Mississippi (Hattiesburg office) with one office in the Hattiesburg market with $98 million in total assets and a new branch about to be opened on October 12th on the east side of our city. We are a branch of a $360 million total asset bank and are owned by a $1.6 billion holding company. We are subject to a large bank CRA exam because of the holding company size. I am writing to strongly support the FDIC 's proposal to raise the threshold for the streamlined small bank CRA examination to $1 billion without regard to the size of the bank 's holding company. This would greatly relieve the regulatory burden imposed on many small banks such as my own under the current regulation, which are required to meet the standards imposed on the nation's largest $1 trillion banks. I understand that this is not an exemption from CRA and that my bank would still have to hel p meet the credit needs of its entire community and be ev aluated by my regulator. However, I believe that this would lower my current regulatory burden by numerous man hours. I also support the addition of a community development (CD) criterion
to the small bank examination for larger community banks. It appears
to be a significant improvement over the investment test. However, I
urge the FDIC to adopt its original $500 million t hreshold for small
banks without a CD criterion and only apply the new CD criterion to commu
nity banks greater than $500 million up to $1 billion. Banks under $500
million now hold about the same percent of overall industry assets as
community banks under $250 million did a decade ago when the revised
CRA regulations were adopted, so this adjustment in the CRA threshold
is appropriate. As FDIC examiners know, it has proven extremely difficult
for small banks, especially those in rural areas, to find appropriate
CRA qualified investments in their communities . Many small banks have
had to make regional or statewide investments that are extremely unlikely
to ever benefit the banks ' own communities. That was certainly not intent
of Congress when it enacted
CRA . I strongly oppose making the CD criterion a separate test from the bank 's overall CRA evaluation. For a community bank, CD lending is not significantly different fro m the provision of credit to the entire community. The current small bank test considers the institution 's overall lending in its Community. The addition of a category of CD lending (and services to aid lending and investments as a substitute for lending) fits well within the concept of serving the whole community. A separate test would create an additional CD obligation and regulatory burden that would erode the benefit of the streamlined exain. I strongly support the FMC 's proposal to change the definition of "community development " from only focusing on low- and moderate-income area residents to including rural residents. I think that this change in the definition will go a long way toward eliminating the current distortions in the regulation. We caution the FD IC to provide a definition of "rural" that will not be subject to misuse to favor just affluent residents of rural areas. Many of our loans that currently do not qualify as a community development loan are made to small business that are vital to providing jobs and services to our local economy. We are not even given CRA credit for making church loans. These type of loans are essential to our small, close community. In conclusion, I believe that the FDIC has proposed a major improvement
in the CRA regulations, one that much more closely aligns the regulations
with the Community Reinvestment Act itself; and I urge the FDIC to adopt
its proposal, with the recommendations above. I will be happy to discuss
these issues further with you, if that would be helpful.
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Last Updated 10/29/2004 | regs@fdic.gov |