| 
 
 SMALL
            BUSINESS ADMINISTRATION
 
 
 
 April 15, 2004
 Via Electronic MailCommunications Division
 Public Information Room
 Mailstop 1-5
 Office of the Comptroller of the Currency
 250 E Street, SW
 Washington, DC 20219
 Docket No. 04-05
 Jennifer J. Johnson, SecretaryBoard of Governors of the Federal Reserve System
 20th Street and Constitution Avenue, NW
 Washington, DC 200551
 Re: Docket No. R-1180
 Robert E. Feldman, Executive SecretaryAttention: EGRPRA Burden Reduction Comments
 Federal Deposit Insurance Corporation
 550 17th Street, NW
 Washington, DC 20429
 Regulation CommentsChief Counsel’s Office
 Office of Thrift Supervision
 1700 G Street, NW
 Washington, DC 20552
 Attention: No. 2003-67
 Re: Request for Burden Reduction Recommendations; Consumer Protection;
            Lending Related Rules; Economic Growth and Regulatory Paperwork Reduction
            Act of 1996 Review Dear Sir/Madam:
 The Office of Advocacy of the U.S. Small Business Administration
              submits this comment letter in response to the above-referenced
              Notice of Regulatory Review. Congress established the Office of
              Advocacy (Advocacy) under Pub. L. 94-305 to represent the views
              of small business before Federal agencies and Congress. Section
              612 of the Regulatory Flexibility Act (RFA) requires Advocacy to
              monitor agency compliance with the RFA, as amended by the Small
              Business Regulatory Enforcement Fairness Act1. Advocacy is an independent
              office within the Small Business Administration (SBA), so the views
              expressed by Advocacy do not necessarily reflect the views of the
              SBA or of the Administration.
 
 Notice of Regulatory Review
 On January 21, 2004, the Office of the Comptroller of the Currency,
            the Federal Reserve System, the Federal Deposit Insurance Corporation,
            and the Office of Thrift Supervision (collectively, the agencies)
            announced that they were reviewing their regulations to identify
            outdated, unnecessary, or unduly burdensome regulatory requirements
            pursuant to the Economic Growth and Regulatory Paperwork Reduction
            Act of 1996 (EGPRA). The agencies stated that they were particularly
            interested in comments and suggestions on ways to reduce burden in
            Consumer Protection: Lender-Related Rules.
 
 Advocacy commends the agencies for requesting comments and suggestions
            on ways to reduce the regulatory burden. Advocacy is particularly
            pleased that in addition to seeking comment on the extent to which
            the regulations may adversely affect competition, the agencies are
            specifically requesting comment on the cost of compliance associated
            with reporting, recordkeeping, and disclosure requirements, particularly
            on small financial institutions. Advocacy encourages the agencies
            to give full consideration to the comments filed by small financial
            institutions and to take the necessary steps to reduce any undue
            regulatory burden.
 
 The Agencies’ Obligations Under the RFA
 
 Even when reducing regulatory burden, Advocacy encourages agencies
            to provide an appropriate RFA analysis at the time that the proposed
            regulatory changes are published. Performing the RFA analysis allows
            agencies to demonstrate the positive economic impact that the reduction
            in regulatory burden will have on small financial institutions.
 
 Information about RFA compliance can be found in A Guide for Federal
            Agencies: How to Comply with the RFA, which is available at http://www.sba.gov/advo/laws/rfaguide.pdf.
            The Office of Advocacy is available to work with the agencies to
            ensure compliance with the RFA prior to the publication of a proposed
            rule. If you have any questions, please feel free to contact the
            Office of Advocacy at (202) 205-6533. Thank you for the opportunity
            to comment on this important notice.
 
 Sincerely,
 
 Thomas M. Sullivan
 Chief Counsel for Advocacy
 
 Jennifer A. Smith
 Assistant Chief Counsel
 for Economic Regulation & Banking
 
 ________________________________________
 
 1 Pub. L. No. 96-354, 94 Stat. 1164 (1980) (codified at 5 U.S.C. §§ 601-612)
amended by Subtitle II of the Contract with America Advancement Act, Pub. L No.
104-121, 110 Stat. 857 (1996). 5 U.S.C. § 612(a).
 
                 |