| CITY OF SANTA FE, NEW MEXICO Mr. Robert E. FeldmanExecutive Secretary
 Attention: Comments/Legal ESS
 Federal Deposit Insurance Corporation
 550 17th St. NW
 Washington, DC 20429
 RE: RIN 3064-AC50Dear Mr. Feldman:
 On behalf of the City of Santa  Fe, I strongly, urge you to withdraw 
        your recently proposed changes to the Community Reinvestment Act CRA 
        regulations. Nationwide, CRA has been instrumental in increasing 
        homeownership, boosting economic development, and expanding small 
        businesses in. the nation's minority, immigrant, and low- and 
        moderate-income communities. The proposed changes are contrary to the CRA statute and Congress' intent because they would reduce, or likely 
        halt,  the progress made in community reinvestment.  Under the current CRA regulations, banks with assets of at least $250 
        million are rated by performance evaluations that scrutinize their level 
        of lending, investing, and services to low- and moderate-income 
        communities. The proposed changes will eliminate the investment and 
        service parts of the CRA exam for state-charted banks with assets 
        between $250 million and $1 billion. In place of the investment and 
        service parts of the CRA exam, the FDIC proposes to add a community 
        development criterion. The community development criterion would require 
        banks to offer community development loans, investments or services.  The community development criterion is seriously deficient because 
        mid-size banks with assets between $250 million and $1 billion would 
        only have to engage in one of three activities: community development 
        lending, investing or services. Currently, mid-size banks must engage in 
        all three activities. Under your proposal, a mid-size bank can now 
        choose a community development activity that is easiest for the bank 
        instead of providing an array of comprehensive community development 
        activities needed by low- and moderate-income communities.  The proposed community development criterion will result in 
        significantly fewer loans and
        investments in affordable rental housing, Low-Income Housing Tax 
        Credits, community service facilities such as health clinics, and 
        economic development projects. It will be too easy for a mid-size bank to demonstrate compliance with a community development 
        criterion by spreading around a few grants or sponsoring a few 
        homeownership fairs rather than engaging in a comprehensive and 
        consistent effort to provide community development loans, investments, 
        and services.
         The proposal would make 879 state-chartered banks with over $392 
        billion in assets eligible for the streamlined and cursory exam. In 
        total, 95.7 percent or more than 5,000 of the state-charted banks your 
        agency regulates have less than $1 billion in assets. These 5,000 banks 
        have combined assets of more than $754 billion. There are more than 60 
        banks in New Mexico that fall into this category.  Another negative element of the proposal is the elimination of the 
        small business lending data reporting requirement for mid-size banks. 
        Mid-size banks with assets between $250 million and $1 billion would no 
        longer be required to report small business lending by census tracts or 
        revenue size of the small business borrowers. Without data on lending to 
        small businesses, it is impossible for the public at large to hold the 
        mid-size banks accountable for responding to the credit needs of 
        minority-owned, women-owned, and other small businesses. Data disclosure 
        has been responsible for increasing access to credit precisely because 
        disclosure holds banks accountable. The proposal will decrease access to 
        credit for small businesses, which is directly contrary to CRA's goals. In Santa Fe, the provision of community development services, such as 
        affordable housing, for the low- and moderate-income persons, minorities 
        and immigrants is of paramount importance. Without CRA's continuing and 
        affirmative obligation, our community development initiatives are in 
        jeopardy.  Sincerely, Larry A. DelgadoMayor
 City of Santa Fe, New Mexico
 200 Lincoln Avenue
 Santa Fe, NM 87504
 cc: Senator Pete V. DomeniciSenator Jeff Bingaman
 Representative Tom Udall
 National Community Reinvestment Coalition
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