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 Montgomery Bank
              August 24, 2004
 Robert
                Feldman, Executive Secretary
 Attention: Comments/Legal ESS
 Federal
            Deposit Insurance Corporation
 550 17th Street, NW
 Washington, DC 20429
 RIN: 3064-AC50
 Dear Sir:
 I am writing on behalf of Montgomery Bank in support of the following
            FDIC proposed rule changes:  
a. change the
                  definition of "small bank" to raise the asset
                size threshold to $1 billion with no consideration of holding company
                ownership; 
 b. 
                add a community development activity criterion to the
                streamlined evaluation method for small banks with assets greater
                than $250 million
                up to $1 billion; and
 
 c. 
                expand the definition of "community development" to
                encompass a broader range of activities in rural areas.
 Montgomery Bank applauds the Office of Thrift Supervision and now
            the FDIC in their proposal to raise its CRA threshold to $1 billion.
            This action will reduce regulatory burden for smaller institutions
            and allow them to allocate their resources to better use. It is in
            the best interests of the banking industry to have all financial
            institutions operating under the same set of rules as adopted by
            the OTS and now proposed by the FDIC. We would also encourage the
            OCC and Federal Reserve to follow suit.  The time commitment
              required by the paperwork and administrative efforts involved in
              CRA data
              collection, reporting, reviewing, preparing
            for examinations, etc is large. The amount of new regulations imposed
            on the banking industry in the past few years — especially
            with new privacy regulations, USA PATRIOT regulations and increased
            Bank Secrecy Act emphasis — has increased the regulatory burden
            on banks with no relief. The costs associated with complying with
            regulations eventually are passed onto bank customers.  By raising the threshold, community banks would not be exempt from
            CRA, but would continue to serve their communities and free up some
            of their already-stressed resources devoted to complying with laws
            and regulations. 
 Sincerely,
 Troy L. Wilson
 Chief Executive Officer
 Montgomery Bank
 
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