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Federal Register Publications

FDIC Federal Register Citations



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FDIC Federal Register Citations

SUPPORTIVE PARENTS INFORMATION NETWORK, INC

Mr. Robert Feldman
Executive Secretary
Attention Comments/Legal ESS
Federal Deposit Insurance Corp.
550 17th Street NW
Washington DC, 20429-9990

Re:RIN 3064-AC50

Dear Mr. Feldman;

What are you thinking? Can you not see that you are decimating the work of thousands of community and faith-based organizations working to find reasonable ways to help low-income families participate in the mainstream economy? We have a hard enough time getting banks to the table as it is, what with regulators' lax enforcement of the CRA. Now we won't be able to do much of anything to help strengthen the inclusion of low-income families. It is so hard to believe the federal government cares even one tiny bit about our local communities.

The purpose of this letter is to discourage your plan to modify the threshold for CRA examination to dilute Community Reinvestment Act requirements for institutions with assets less than $1B. The reduced requirements would include modification of testing requirements on the number of investments and services in low and moderate-income areas. The second is to allow mid sized banks reduce their community development activities.

This ruling would apply to all locally headquartered banks in San Diego. It would only exclude the very large national banks. It would create an unequal playing field in the banking industry in this region. It would allow for market domination in major geographical areas of the County for specific products and services. It would exclude ethnic and lower income residents from basic banking services and thereby be in direct violation of the federal Community Reinvestment Act and quite possibly the Fair Housing Act.

The effect is to allow smaller banks to behave the way that they have traditionally been behaving in terms of CRA compliance. They traditionally display an acute disregard for their obligation to the larger community. Branches are almost exclusively in suburban, wealthier communities. The smaller banks very seldom participate in regional consortia or directly offer products or access to simple access to basic banking services.(1)

Your decision will legitimatize the exclusionary lending policies of these institutions.

Smaller banks in San Diego are a growth industry. Over the thirty years I have monitored CRA fro the City and the County I have seen three generations of new, small banks merge and then merge. It is an industry here. We grow banks for larger, multi- national institutions. This is part of the reason that these banks eschew CRA. It may interfere with their purchase by larger banks. The small banks exist not for the benefit of the consumer but rather for a select number of shareholders. CRA regulations (however limited) are the only link to the larger community required by a bank charter.

The City/ County Reinvestment Task Force (RTF) is chartered by the City Council and County Board of Supervisors to monitor lending practices and develop strategies for reinvestment in the region. It was established by joint resolution in 1977 and is Co-Chaired by the City Council and the County Board of Supervisors. It has an extraordinary record of success in facilitating access to capital in underserved markets generating billions of home loans, small business loans, affordable housing and community investments ($1.9B in 2003). Through local attention to the CRA and long term strategic planning and analysis the CRA has become one of the primary tools for community stability and revitalization in the region. These accomplishments occur because of the “partnership’ that has been forged between community, lenders and government. The partnership depends on each party bringing its full authority and potential to the work.

Government has provided much protection and risk diversion with affordable housing, investments and small micro lending efforts. This was offered with the confidence that the lenders would equally commit. The RTF has done constant and disciplined assessment of credit access and through dialogue, face to face, many new and innovative solutions have been created, so much so that a thriving and profitable “industry” has emerged in this region focused on economically healthy communities.

We urge you to rescind your intent to reduce CRA related policies toward smaller banks. You will exclude them from very beneficial markets and encourage recognition that they are part of a larger community and can contribute to the regions overall economic growth.

Sincerely,

Joni Halpern, Esq.
Director
Supportive Parents Information Network, Inc.
2717 University Ave.
San Diego, CA 92104

(1) Countywide Credit Needs Assessment, Steve Bouton Ph.D, Economic Research Associates, 2001; San Diego Mortgage Lending Five Year Review; 1997-2002.

CC: National Community Reinvestment Coalition
Congressman Bob Filner
Congresswoman Susan Davis

Last Updated 09/27/2004 regs@fdic.gov

Last Updated: August 4, 2024