| From: Kathy Bakich & Josh Silver [mailto:kathyjosh@erols.com] Sent: Thursday, September 02, 2004 9:53 PM
 To: Comments
 Subject: Community Reinvestment -- RIN 3064-AC50
 Mr. Robert E. FeldmanExecutive Secretary
 Attention: Comments/Legal ESS
 Federal Deposit Insurance Corporation
 550 17th St. NW 20429
 RE: RIN 3064-AC50
 Dear Mr. Feldman:  We are a concerned family opposed to watering down CRA (Community 
        Reinvestment Act) requirements for mid-sized banks. CRA is vital for 
        increasing homeownership and economic development in lower-income 
        communities. However, your proposed changes will halt the progress that 
        has been made and is contrary to CRA's statutory mandate.  Banks with over $250 million in assets must be tested on their number 
        of loans, investments, and services to low- and moderate-income 
        communities. But your proposal would eliminate the investment and 
        service requirements for all banks with under $1 billion in assets. This 
        will result in significantly fewer loans and investments in affordable 
        rental housing, health clinics, community centers, and economic 
        development projects.  Your proposal also means that CRA examiners will no longer scrutinize 
        how many branches banks maintain in low- and moderate-income communities 
        and how many checking and savings accounts banks offer to low- and 
        moderate-income communities. In the last few years, the number of payday 
        lenders and other usurious lenders have soared. It is precisely the 
        wrong time to dramatically lessen banks' CRA requirements to provide 
        affordable products to low- and moderate-income customers.  In the watered-down exam, you would allow mid-sized banks to choose 
        which community development activities they will undertake. Right now, 
        these banks must make community development loans, investments, and 
        services. Your proposed test allows banks to choose only one of the 
        three activities. The result will be less community development 
        activity.  You also propose that community development activities in rural areas 
        can benefit any group of individuals instead of only low- and 
        moderate-income individuals. But this will allow banks to focus on 
        affluent residents of rural areas rather than the lower income consumers 
        CRA targets. Finally, you would also eliminate publicly available data 
        on the small business lending of mid-sized banks. Without data, 
        community groups and citizens cannot hold banks accountable for lending 
        to small businesses in their neighborhoods.  In the state we call home, the impacts are severe. More than 86 
        percent or 37 of the 43 FDIC-supervised banks in the state of Maryland 
        have assets less than $1 billion. Therefore only 6 or 14 percent of 
        FDIC-supervised banks would now have the comprehensive large bank exam 
        under your proposed changes. Fifteen banks with assets between $250 and 
        $1 billion will shift from the large bank exam to the cursory small bank 
        exam. Since these banks have more than $7 billion in assets, the loss in 
        resources for communty development activity in Maryland will be sudden 
        and large in magnitude. Banks with assets between $250 million and $1 
        billion have 29 percent of all assets of FDIC-supervised banks in 
        Maryland. In one shot, you have decreased the number of assets devoted 
        to community reinvestment by almost one third.  We are in a jobless recovery or more accurately, a recession. Welfare 
        reform has compelled hundreds of thousands of people to seek work with 
        much less support; these citizens titter precariously on the edge of 
        grinding poverty. The federal government has recently announced 
        increases in the number of Americans in poverty and without health 
        insurance. A significant weakening of CRA will only compound the social 
        and economic deprivation. In contrast, an astute anti-poverty program 
        would consist of strengthening CRA. The Federal Reserve Board and 
        Harvard University have conducted studies demonstrating that CRA is 
        profitable for banks and has increased lending to low- and 
        moderate-income families and communities. CRA is a win-win proposition. 
        It is astounding that Bush appointed regulators are seeking to weaken an 
        effective economic policy tool. The theme of the Republican convention, 
        "the ownership society," rings hallow when major policymakers in that 
        party act contrary to their emphasis on homeownership and small business 
        ownership.  Lenders have an affirmative and continuing obligation to meet 
        community needs under CRA. Technological advances such as the internet 
        and more sophisticated underwriting have equipped lenders to be more 
        effective in expanding access to credit to low- and moderate-income 
        communities. With increased capacities, lenders could efficiently meet 
        the requirements of a stronger CRA that would automatically examine all 
        affiliates of lenders and would expand assessment areas to cover the 
        vast majority of bank loans. Yet, instead of strengthening CRA so that 
        lenders meet their continuing and affirmative obligations to satisfy 
        community needs, you are unjustifiably and dramatically weakening CRA.
         CRA is too important to be gutted. Please drop your proposal like the 
        Federal Reserve Board and the Office of the Comptroller of the Currency 
        that recognized its harm to underserved communities. Sincerely, Josh Silver and Kathy Bakich6503 Marjory Lane
 Bethesda MD, 20817
 
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