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FDIC Federal Register Citations



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FDIC Federal Register Citations

LOCAL INITIATIVES SUPPORT CORPORATION

From: Greg Maher [mailto:GMaher@liscnet.org]
Sent: Thursday, September 16, 2004 3:08 PM
To: Comments
Subject: Community Reinvestment -- RIN 3064-AC50

Dear FDIC Officer,

CRA has made the difference in many community development projects. I know, because I've seen it with my own eyes. I've been on the national Credit Committee of Local Initiatives Support Corporation (LISC) for over fourteen years. LISC is a national, nonprofit intermediary with 36 offices nationwide, and is the largest community development support organization in the country. Over the last fourteen years, I have seen well over a thousand projects proposed for financing at Credit Committee. Most of these developments contained financing from banks, banks of all sizes, including many having assets below $1 billion. In almost every case these institutions made the loan with CRA as a major motivating factor. They collected fees on these loans, and created new business opportunities in the process in underserved markets. Without the extra motivation CRA provided, these lenders&nbs! p;would have reluctant to originate their loans, and wouldn't have done so. In some cases LISC program staff have heard bankers come right out and say that.

I oppose the FDIC's proposal to allow banks with assets above $250 million to be examined as small banks under the Community Reinvestment Act. This policy would reduce lending, investments and services in low-income communities. Please preserve the rule as it is - it is an effective regulation that pushes banks to get to the finish line in unconventional markets, breathing renewed life into isolated places struggling to get back to the mainstream.

Thank your for considering this comment.

Sincerely,

Gregory Maher
Vice President
Local Initiatives Support Corporation
212-455-9860

Last Updated 09/28/2004 regs@fdic.gov

Last Updated: August 4, 2024