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 BANK OF AKRON
 Mr. Robert E. Feldman, Executive SecretaryAttention: Comments/Legal
            ESS
 Federal Deposit Insurance Corporation
 550 17th Street, NW
 Washington, DC 20429
   August 26, 2004 
 Dear Mr. Feldman:
 The following comments are offered in response to the notice of
            proposed rulemaking, Vol. 6, No. 161 issued Friday, August 20, 2004
            regarding Community Reinvestment Act (CRA).  The Bank of Akron wholly endorses the FDIC's efforts to reduce regulatory
            burden and would encourage the FDIC to expand these efforts further.
            Specific to the proposed changes to the Community Reinvestment Act
            the proposed change in definition of small bank to an asset size
            of $1 billion is a positive step. This step should not be diluted
            by adding additional criteria for those banks with assets between
            $250 million and $1 billion.  The concerns
              of community organ1zations are, in fact misplaced. Small community
              banks cannot
              survive without the support of the community
            it serves. This support can only be gleaned by providing value added
            services to all segments of the community, not least of which is
            the low to moderate income sector. While lending to this sector is
            understandably the most important criteria for community reinvestment,
            greater consideration should be given to all aspects of community
            involvement and the bank's total commitment to the community given
            due regard when measuring "community development".  While a clean formula for the measurement of community development
            activities is desirable, it is also impractical due to the differences
            in the communities each bank serves. This is highlighted by the proposed
            addition of community development in rural communities. The ability
            and willingness of a bank to make loans and provide support to efforts
            to improve their assessment area, regardless of the principal business
            activities are the key criteria What each bank must address is the
            community's needs, whatever they may be. The FDIC's challenge is
            to properly recognize those efforts in aggregate, not against (albeit
            meaningful but) arbitrary criteria  Sincerely, E. Peter Forrestel II
 President
 
 
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