| September 19, 2004 
        
        Robert E. Feldman Executive SecretaryFederal Deposit Insurance Corporation
 550 17th Street, NW.
 Washington, DC 20429
 Attention: Comments/Legal ESS FEDERAL DEPOSIT INSURANCE CORPORATION 12 CFR Part 345
 RIN 3064-AC50
 Community Reinvestment Act
 ACTION: Notice of proposed rulemaking
 In the February 2004 NPR, the agencies stated that the CRA 
        regulations were essentially sound, but were in need of some updating to 
        keep pace with changes in the financial services industry. Notably, to 
        reflect economic change in the industry and reduce unwarranted burden 
        consistent with ongoing efforts to identify and reduce regulatory burden 
        where appropriate and feasible, the agencies proposed to amend the 
        definition of "small bank" to mean an institution with total assets of 
        less than $500 million, without regard to any holding company 
        affiliation. This change would take into account substantial 
        institutional asset growth and consolidation in the banking and thrift 
        industries since the $250 million definition was adopted in 1995. In 
        light of certain responses found in the comment letters responding to 
        the February 2004 NPR, the FDIC has decided to publish for comment this 
        NPR with respect to how "small banks" are defined and evaluated and 
        other matters. The FDIC, in keeping with its commitment to review its 
        regulations implementing the CRA, seeks comments on whether. this 
        proposal presented here would: enhance the effectiveness of the CRA 
        regulations and CRA evaluations by addressing concerns about community 
        development needs, including those of rural communities; and reduce 
        regulatory burden by updating the regulation in light of changes in the 
        banking industry over the past ten years. The concept of reducing the burden associated with Community 
        Reinvestment Act reporting on financial institutions is challenging for 
        anyone who has experienced discrimination, and/or found it difficult to 
        obtain banking services in a rural community. The only clear outcomes 
        that will result from the proposed changes to 12 CFR Part 345 is less 
        services in underserved markets and continuing consolidation in the in 
        banking industry. Before any new regulations are enacted that reduce the 
        reporting requirements on financial institutions more research must be 
        done to identify ways to increase the homeownership rate among minority 
        and low income families in rural America. Depository institutions must 
        be held accountable to the communities they serve. Beside mortgage 
        financing, small community banks should increase access to affordable 
        consumer and small business loans.  Changes in the banking industry were cited as a reason for updating 
        policy. When is the deterioration of the employment outlook in rural 
        America going to become a component in the policy making process? 
        Entrepreneurship is supposed to help create new jobs which will carry 
        the 
        country to economic recovery. If the financial institutions do not have 
        to substantiate their role in the equation, who is going to monitor 
        their social investment for the greater good of the country?  Consolidation in the financial services area is erodi:. the ability 
        of lower income families to access the capital markets because banking 
        personnel are being replaced by automated tellers and online banking 
        services at a time when many Americans_ especially Native Americans, 
        still operate on a cash basis. Change is a wonderful word to describe 
        the contraction that has been occurring in the 
        banking industry. We need look no further than the Oil industry to see 
        the long term implication of acquisitions based on the low entry cost 
        versus developing sustainable relationship through traditional methods.
         America does not need less regulation of community banks. What 
        low-moderate income families need is greater access to capital. 
        Financial literacy training is an invaluable tool, but a well educated 
        consumer has little hope if the local bank does not have a vested 
        interest in their success.  Sincerely,THOMAS C. WRIGHT
 P.O. Box 385
 1565 Pte Brulee Road
 Hessel, Michigan 49745
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