| Commercial State Bank
 
 April
            16, 2004
 
 Robert E Feldman, Executive Secretary
 Federal Deposit Insurance Corporation
 550 17th Street, NW
 Washington, D.C. 20429
 Attention: EGRPRA
              Burden Reduction Comments  Dear Sir or Madam:  As a community
              banker, I greatly welcome the regulators' effort on the critical
              problem of regulatory burden. Community bankers work hard to establish
              the trust and confidence with our customers that are fundamental
              to customer service, but consumer protection rules frequently interfere
              with our ability to serve our customers. The community banking
              industry is slowly being crushed under the cumulative weight of
              regulatory burden, something that must be addressed by Congress
              and the regulatory agencies before it is too late. This is especially
              true for. consumer protection lending rules, which though well
              Intentioned, unnecessarily increase costs for consumers and prevent
              banks from serving customers. While each individual requirement
              may not be burdensome itself, the cumulative impact of consumer
              lending rules, by driving up costs and slowing processing time
              for loans from legitimate lenders helps create a fertile ground
              for predatory lenders. It's time to acknowledge that consumer protection
              regulations are not only a burden to banks but are also a problem
              for consumers.  Regulation Z
              is a constant problem of checking and rechecking loans.  Home Mortgage
              disclosures are so complicated and expensive that we don't make
              home loans. Ditech does not have this problem.  Flood insurance
              can be very expensive to determine flood exposure in some areas. 
 Equal Credit regulation B is always a problem for joint siqnature loans.
 It would be much
              easier for banks, especially community banks that have limited
              resources, to comply with regulatory requirements if requirements
              were based on products and all rules that apply to a specific product
              were consolidated in one place. Second, regulators require banks
              to provide customers with understandable disclosures and yet do
              not hold themselves to the same standard in drafting regulations
              that can be easily understood by bankers. Finally, examiner training
              needs to be improved to ensure that regulatory requirements are
              properly and uniformly applied.  The volume of
              regulatory requirements facing the banking industry today presents
              a daunting task for any institution, but severely saps the resources
              of community banks. We need help immediately with this burden before
              it is too late. Community bankers are in close proximity to their
              customers, understand the special circumstances of the local community
              and provide a more responsive level of service than meqabanks.
              However, community banks cannot continue to compete effectively
              and serve their customers and communities without some relief from
              the crushing burden of regulation.    Thank you for
              the opportunity to comment on this critical issue. 
 Sincerely
 Jerry B. Waldo,
              PresidentCommercial State Bank
 
 
 
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