| CHEROKEE STATE BANK 
 FDIC 4300 S Lakeport STE 104
 Sioux City IA 51106
 
 RE: Recommendations Sought to Reduce Regulatory Burden  To Whom It May Concern:
 Below I have listed a few regulations that we feel are outdated, 
        unnecessary, and burdensome.
 1. Right of rescission has outlived its usefulness. Customers are 
        usually frustrated with this process, since in many cases the customer 
        has already made a commitment to a home improvement project or may 
        already have purchased the vehicle. When the money has already been 
        spent or committed, they do not cherish the idea of waiting an 
        additional three days before they can get their loan proceeds.
 2. Appraisal requirements are too stringent and need to be changed 
        with the increased cost of housing, land and real estate in general. The 
        appraisal requirement could be at least doubled from the present 
        $250,000 to $500,000. Our bank has staff that can do a very adequate Job 
        of assessing property valuation. Increasing the amount to $500,000 would 
        also reduce the borrower's cost in a real estate transaction.  3. Need to change the requirement to send privacy notices annually. 
        This regulation is not necessary. Customers are given a privacy notice 
        when they open an account. As long as the bank does not make any changes 
        to their privacy policy, the requirement to send an annual notice is 
        overkill. I fear most of these notices don't even get a second look by 
        the customer, but instead windup in their garbage.
 4. Biennial renewal of exempt persons or businesses is an unnecessary 
        burdensome regulation that needs changing. Once a person or business has 
        gone thru the exemption process, there should be no need for them to go 
        thru the renewal process. Financial institutions should only have to 
        terminate or revoke the exemption if they cease to operate as a business 
        or no longer have a banking relationship with the bank that originally 
        exempted them.
 5. The HUD form should exclude the columns disclosing the seller's 
        expenses. The closing agent discloses this to the seller. It should not 
        be our responsibility and it is redundant.  Sincerely,  Ivan WiersemaV.P. & Compliance Officer
 Cherokee State Bank
 Cherokee, IA
 
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