| via 
        e-mail 
 FISCHER CONSULTING
 
 From: Gina Fischer (Fischer Consulting) 
        [mailto:ginaf@deerfieldbank.net]
        Sent: Friday, February 13, 2004 12:15 PM
 To: Comments
 Subject: EGRPRA burden reduction comment
 
 I am writing in regard to Regulation C, specifically, the definition 
        of "refinancing". I believe that unintended consequences from the 
        revised definition will be realized for the 2004 reporting period.  Regulation C, Section 202.2 states:  (k) Refinancing means a new obligation that satisfies and replaces an 
        existing obligation by the same borrower, in which:  (1) For coverage purposes, the existing obligation is a home purchase 
        loan (as determined by the lender, for example, by reference to 
        available documents; or as stated by the applicant), and both the 
        existing obligation and the new obligation are secured by first liens on 
        dwellings; and  (2) For reporting purposes, both the existing obligation and the new 
        obligation are secured by liens on dwellings.  The revised definition makes no exception for business purpose loans. 
        Many banks that specialize in agricultural lending secure their loans 
        with land that contains the farm house dwelling. Thus, non-temporary 
        loans for agricultural purposes such as machinery and equipment loans 
        and agricultural real estate loans are now HMDA-reportable.  This revised definition is creating problems in agricultural banks in 
        HMDA-reportable areas: (1) Most ag lenders do not have experience with 
        HMDA; (2) Reporting business-purpose loans is not the intent of HMDA and 
        will skew results across the country; (3) Auditing for compliance is 
        very difficult as there is no indicator that an ag loan is secured by a 
        dwelling; (4) Adding such an indicator is not feasible because it could 
        interfere with Call Report codes.  In addition, a definition of temporary financing under Regulation C 
        would be appreciated.
 Sincerely,
 Gina C. FischerFischer Consulting Company (a bank-consulting company)
 605-366-8414
 
 
 |