SOUTHERN RESEARCH & DEVELOPMENT CORP.
August 25th, 2004
Robert E. Feldman, Executive Secretary
Attention: Comments/Legal ESS
Federal Deposit Insurance Corporation
550 17th Street, NW
Washington, D. C. 20429
Dear Sir or Madam:
We are writing against the proposed change to rules governing the
Community Reinvestment Act (CRA). In particular, we are opposed to
changing the definition of a "small bank" from a bank with assets of 250
million dollars to a bank having assets of one billion dollars. The
proposed rule would adversely impact our work with poor families in
rural areas by removing incentives for local, community banks to invest
in the future prosperity and health of the communities that they serve.
Instead, we urge you to maintain the current "small bank" definition
so that local, smaller banks are provided with the same incentives for
community investment as larger banks. This is especially important for
rural communities, since many larger national banks do not serve, and
do
not invest, in rural areas. In addition, we encourage federal bank and
thrift agencies to institute a comprehensive predatory lending policy
to
protect the assets of all families, whether rural or urban. Banks should
be provided with a disincentive to engage in predatory practices by
insuring that abusive lending count against an institution's CRA rating.
Sincerely,
Sister Helen Vinton
President
Southern Research & Development Corp.
3602 Old Jeanerette Road
New Iberia, LA 70563 |