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FDIC Federal Register Citations National Housing Law Project From: Maeve Elise Brown [mailto:mebrown@nhlp.org] RE: FDIC Proposed Relaxation of CRA Oversight Dear Sir or Madam: The National Housing Law Project strongly opposes the FDIC's proposed relaxation of oversight, specifically its proposal to allow banks with assets above $250 million to be examined as small banks under the Community Reinvestment Act (CRA). This policy would significantly reduce lending, investments and services in low-income communities. The CRA has a lengthy history of making a positive impact on communities
by creating incentives for banks to invest. Despite its dramatically
positive impact, there are still communities, rural and urban, that are
suffering from a lack of access to capital and institutional disinvestment.
Government oversight of financial institutions is critical to the success of
the CRA. The CRA needs to be strengthened and its protections extended
rather than limiting its application to Sincerely, Maeve Elise Brown, Esq. |
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Last Updated 11/23/2004 | regs@fdic.gov |