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FDIC Federal Register Citations


From: Kori Schneider [mailto:korischneider@mcleodusa.net]
Sent: Thursday, September 16, 2004 3:38 PM
To: Comments
Subject: RIN 3064-AC50, Community Reinvestment

Mr. Robert E. Feldman
Executive Secretary
Attention: Comments/Legal ESS
Federal Deposit Insurance Corporation
550 17th St. NW 20429

RE: RIN 3064-AC50, Community Reinvestment

Dear Mr. Feldman:

I live in a low-income neighborhood, and I am a staffperson from a
nonprofit organization that works in housing and community development,
that's why I am writing to express my opposition to the weakening of CRA
(Community Reinvestment Act) requirements for mid-sized banks. CRA is vital
for increasing housing opportunity, homeownership and economic development
in lower-income communities. However, changes proposed by the FDIC will
halt the progress that has been made.

I understand that currently, banks with over $250 million in assets must be
tested on their number of loans, investments, and services to low and
moderate income communities. But the proposal would eliminate the
investment and service requirements for all banks with under $1 billion in
assets. This will result in significantly fewer loans and investments in
affordable rental housing, health clinics, community centers, and economic
development projects.

In the watered-down exam, the FDIC would allow mid-sized banks to choose
which community development activities they will undertake. Right now, these
banks must make community development loans, investments, and services. The
proposed test allows banks to choose only one of the three activities. The
result will be less community development activity.

I am also concerned about the proposal that community development activities
in rural areas should benefit any group of individuals instead of only low
and moderate income individuals. This would allow banks to work with
affluent residents of rural areas rather than the lower income consumers CRA
targets.

Finally, the proposal would also eliminate publicly available data on the
small business lending of mid-sized banks. Without data, community groups
and citizens cannot hold banks accountable for lending to small businesses
in their neighborhoods.

The proposed changes directly oppose CRA's mandate to require lenders to
meet community needs. CRA is too important to be gutted. Please drop your
proposal. It would harm, rather than help underserved communities.

Sincerely,
Kori A. Schneider
3347 N. 50th Street
Milwaukee, WI 53216


Last Updated 10/08/2004 regs@fdic.gov

Last Updated: August 4, 2024