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Community Bank of Parkersburg
 
 
 From: Kim Wolfe Flinn [mailto:kflinn@communitybankpkbg.com]
 Sent: Wednesday, April 14, 2004 12:08 PM
 To: regs.comments@federalreserve.gov; Comments; regs.comments@occ.treas.gov;
            regs.comments@ots.treas.gov
 Subject: EGRPRA
 April 14, 2004
 
 Mr. Robert E. Feldman, Executive Secretary
 Attention Comments
 Federal Deposit Insurance Corp.
 550 – 17th Street, NW
 Washington, DC 20429
 
 Re: Reducing Regulatory Burden            Lending-Related Consumer Protection Rules
 
 Dear Mr. Feldman:
 We are encouraged with your efforts to reduce regulatory burden
            on the financial services industry. Community Bank of Parkersburg
            strives to fulfill our obligations to all regulations. The requirement of sending an annual privacy notice to all customers
            that accurately reflect the banks privacy policies and practices
            not less than annually during the continuation of the customer relationship
            ( FDIC Part 332.5(a)(1)) is unnecessarily burdensome, redundant and
            unnecessarily costly to the financial services industry. The customer
            receives the notice at account opening as required and again by mail
            if there are changes to the policy, but sending the same notice again
            annually is unnecessary. When the regulation was introduced it was
            necessary for all current customers to be aware of the written Privacy
            Policy by each institution. But now that this policy has been in
            place for several years and the customers have received several notices,
            the regulatory notification should be satisfied and the annual notice
            distribution should be rescinded. As a small institution, it is very expensive and would be even more
            so for larger institutions. This recommendation is then made to end
            the redundancy of the Privacy Policy notification. I would be glad
            to talk with anyone to further explain the cost of time and materials
            necessary to meet this regulatory obligation. I look forward to working
            with the FDIC to continue all of our efforts to make the customer
            feel confident in the financial services we offer.             Very truly yours, Kim Wolfe FlinnAssistant Vice President and Compliance Officer
 Community Bank of Parkersburg
 
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