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 Emprise Bank
 
 
 September 9, 2004
               Mr. Robert E. FeldmanExecutive Secretary
 Federal Deposit Insurance Corporation
 550 17th Street NW
 Washington, DC 20429
 Re:	RIN Number 3064-AC50 Attention: Comments/Legal ESS: I would like to comment regarding the new Small Bank threshold change
            proposal. I would like to see the threshold raised to a larger number
            than $250MM, however I think the number should perhaps be $3BB or
            even $5BB, although $1BB is a step in the right direction. Given
            the enormous size of some financial institutions today, I think it
            is entirely possible for a bank with $2BB or $3BB in assets to qualify
            as a community bank, dedicated to serving the needs of their local
            community or communities. Community banks are put at a competitive
            disadvantage since non-banks and credit unions are not subject to
            the same CRA requirements, without even considering the tax advantage
            that credit unions possess. The community banking industry is slowly
            being crushed under the cumulative weight of regulatory burden, which
            is something that must be addressed by Congress and the regulatory
            agencies before it is too late. This is especially true for CRA.
            Although it is well intentioned and nobody argues with the importance
            and necessity of being responsive to the needs of the local community,
            the necessity to compile and retain data of all kinds simply to document
            and prove compliance unnecessarily increases the costs for compliance.
            And those added costs are passed on to consumers.  I also support
              the recommendation to change the definition of "community
            development" to benefit not just low- and moderate-income residents
            but also residents of rural areas. Rural residents typically fit
            the income pattern that would qualify for low-income status if they
            lived in a city with defined census tracts.  I do not support the FDIC proposal that adds a new community development
            criterion to the small bank examination for banks between $250 million
            and $1 billion (although I again submit that number should be much
            larger). Consideration of the bank's community development lending,
            services and investments should be based on an overall subjective
            assessment by the examiner, after consultation with local community
            sources, and should not be based on any artificial, standardized
            ratios or magic numbers. Adding the community development criterion
            to the small bank examination adds a time consuming accumulation
            of additional data on the compliance function similar to the large
            bank CRA examination. The data collection and analysis that must
            be done for the large bank CRA examination almost always requires
            an institution to purchase additional costly software and/or hire
            additional employees to handle record keeping. Adding a formalistic
            community development criterion stretches already limited resources
            at community banks and provides no urgently needed relief to institutions
            sized between $250 million and $1 billion.  Please help community banks to continue to be contributors to their
            local communities in order to help their communities flourish. Community
            banks are in a better position than the big nationwide banks to do
            that since we are from our communities and understand its needs.
            Please do not let community banks drown in regulatory red-tape.             Respectfully submitted, Thomas A. PagePresident
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