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FDIC Federal Register Citations National Congress for Community Economic Development From: Carol Wayman [mailto:cwayman@ncced.org] September 21, 2004 Donald E. Powell Mr. Robert E. Feldman Re: RIN 3064 AC50: Opposed Proposed Changes to CRA Dear Gentlemen: Thank you for the opportunity to comment on the changes the Federal Deposit Insurance Corporation (FDIC) proposes for the Community Reinvestment Act. We appreciate the FDIC's willingness to thoughtfully discuss investment issues with organizations that work to revitalize low-income communities and consider the effects of any regulatory change on their efforts. Because the CRA has made the difference between distressed and economically vibrant communities, the National Congress for Community Economic Development (NCCED) places a high priority on ensuring its continued vitality as comprehensive national regulation. For that reason, we oppose the FDIC's proposal to effectively eliminate the investment and services test for banks up to $1 billion in assets and make all rural investments eligible for CRA credit regardless of income level served. NCCED urges you to withdraw the proposal to quadruple the minimum asset size for applying the three-part Community Reinvestment Act (CRA) exam to state chartered non-member banks. We urge the FDIC to retain the current small bank definition ($250 million assets). If enacted as stated in the proposed rule, the FDIC action would have a devastating impact on lending, housing, and access to financial services in urban and rural communities across America. Founded in 1970, NCCED's mission is to promote, support and advocate for the community-based development industry and work to ensure that the resources required for assisting distressed communities are identified and equitably distributed to help families and individuals achieve lasting economic viability. NCCED works primarily with CDCs and State CED Associations, although our membership includes many types of community-based development organizations such as housing corporations, community action agencies, farm-worker organizations, micro-loan funds, and financial institutions. NCCED encourages and supports its members' work through public policy education, research, special projects, newsletters, publications, training, professional conferences, fund-raising, and technical assistance. NCCED and our nearly 800 member organizations understand that FDIC proposes four major changes for the vast majority of depository institutions with fewer than $1 billion in assets: 1) Elimination of the investment and service tests; Benefits of CRA The Community Reinvestment Act (CRA) has been and continues to be a critical resource to improve access to credit for low and moderate-income communities and leverage private capital for community development activities in rural and urban areas. CRA is instrumental in increasing access to homeownership, boosting economic development, and expanding small businesses in the nation's minority, immigrant, and low- and moderate-income communities, both urban and rural. CRA increases homeownership, boosts economic development, and expands small businesses in the nation's minority, immigrant, and low- and moderate-income communities. Impacts of FDIC Proposal The FDIC proposal would dramatically diminish banks' obligation to
reinvest in their communities. It revises the CRA rules to make the less
rigorous CRA exam applicable to an additional 900 banks with assets totaling
$401 billion. Adoption of the FDIC measure is likely to mean the loss of
hundreds of millions of dollars in loans, investments, and services for
local communities and would disproportionately impact rural areas and small
cities where the market presence of these mid-sized banks is often great.
We do not believe that any of the proposed changes will improve investment in low- and moderate- income communities in ways that are needed by those communities. While some may argue that the replacement of the investment and service test with a community development criterion will help raise capital for the community development organizations that serve low and moderate income communities, we are concerned such community development organization funds will not be sufficient to replace the current investment and services of banks in low-income and especially rural low-income communities. Despite the short comment period and its timing at the end of summer, more than 150 of our members have submitted email comments requesting that the FDIC withdraw its proposal because the FDIC rule, as proposed, would greatly weaken or eliminate extremely important standards necessary to ensure that CRA is effective. We urge you to withdraw this proposal. Sincerely, Roy O. Priest |
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Last Updated 11/23/2004 | regs@fdic.gov |