| Farmers & Merchants 
        State Bank April 5, 2004 Robert Feldman, Executive SecretaryATTN : Comments
 Federal Deposit Insurance Corporation
 550 17th Street NW
 Washington, DC 20429
 RE: 12 CFR 345 – Proposed Amendments to the Community Reinvestment 
        Act Regulations  Dear Mr. Feldman:  As a community bank, we strongly endorse the federal regulators' 
        proposal to expand the number of financial institutions that will be 
        examined under the streamlined small institution examination provisions 
        of CRA. Your proposal achieves this result by increasing the asset 
        threshold of banks that would qualify as community institutions from 
        $250 million to $500 million and disregarding ownership by a bank 
        holding company. This proposal will greatly reduce regulatory burden.
         The Farmers & Merchants State Bank is a $715 million independent, 
        community bank located in Archbold, Ohio serving a rural, but 
        industrialized five-county area in northwest Ohio. While we strongly 
        support your proposal in its current form, we would we would urge you to 
        consider extending the benefits of your amendments by raising the asset 
        threshold even further to $1 billion. When a bank must comply with the 
        requirements of the large bank CRA evaluation process, the costs and 
        burdens increase dramatically. Resources devoted to CRA compliance are 
        resources not available for meeting the credit demands of the community 
        we serve.  The small bank examination process is a simple, straightforward 
        analysis of whether a community bank is meeting the credit needs of its 
        community. Many traditional CRA tests like the investment test or the 
        service test are not relevant for community banks. The business of 
        community banking revolves around making loans in their communities. 
        Plus, the regulatory burdens fall disproportionately on small banks that 
        don't have the staff, software, or the expertise to comply with the more 
        complex CRA test and data coding requirements. Finally, and perhaps more 
        importantly, a true community bank will not survive if it is not 
        responsive to the borrowing needs of its entire community.  Since the CRA regulations were last updated the regulatory burdens 
        on small banks have grown much larger.. including new reporting 
        requirements under HMDA, the USA Patriot Act, and the new privacy 
        requirements under Title V of Gramm-Leach-Bliley. The nature of 
        community banking has, however, not changed. Community banks have less 
        staff and fewer resources to comply with this ever-increasing compliance 
        burden. Your proposal is an opportunity to help stem this 
        ever-increasing tide of regulatory costs, and ensure that community 
        banks can survive, so they will be around to help serve the needs of 
        their communities. The streamlined exam for smaller institutions 
        accurately captures the information necessary for examiners to assess 
        whether a community bank is meeting the credit needs of its community. 
        Nothing more is required to satisfy the requirements of the Community 
        Reinvestment Act.
 Ironically, community activists seem oblivious to the costs and 
        burdens of CRA compliance. And yet, they object to bank mergers that 
        remove the local bank from the community. This is contradictory. If 
        community groups want to keep the local banks in the community where 
        they have better access to decision-makers, they must recognize that 
        regulatory burdens are strangling these institutions and forcing them to 
        consider selling to larger institutions that can better manage the 
        burdens.  There are many valid reasons for raising this threshold and expanding 
        the application of the streamlined CRA test even further than initially 
        proposed. First of all, raising the threshold in this fashion will still 
        leave the vast majority of the assets in the banking system under more 
        complex CRA analysis. Nationally, increasing the threshold to $1 billion 
        will add only 524 financial institutions to the small bank exam program. 
        The proposal as published in the Federal Register will exempt 9% of 
        banking assets, and the more expansive exemption we suggest would only 
        expand that to 11% of banking assets. Second, increasing the threshold 
        will keep the focus of community banks on local lending. This is 
        consistent with the requirements of the Community Reinvestment Act, and 
        what policymakers should want as our nation works through a jobless 
        recovery. Exempting those additional institutions will turn loose 
        additional lending resources, particularly in smaller communities, which 
        our institution presently serves. In America's smaller towns the only 
        economic engine to invest in new jobs and new growth is the local 
        financial institution. In conclusion, the Farmers & Merchants State Bank strongly supports your 
        proposal to increase the asset threshold for banks to be eligible for 
        the streamlined CRA exam. For the reasons stated, we would further 
        encourage urge you to go beyond maintaining the status quo by expanding 
        the exemption to, include community banks with assets up to $1 billion. 
        Updating the CRA regulations will still enable regulators to fulfill 
        their responsibility under CRA to ensure that all banks are helping to 
        meet the credit needs of their community. This action, however, will 
        remove some of the most problematic and burdensome elements of the 
        current CRA regulation that is drowning community banks in regulatory 
        red tape.  Edward A. LeiningerEVP/Chief Operating Officer
 Marilyn K. Johnson AVR/Compliance & CRA Director
 
 Farmers & Merchants State Bank
 307-11 North Defiance Street
 Archbold, OH
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