| TEXAS APPLESEED Mr. Robert E. Feldman Executive Secretary
 Attention: Comments/Legal ESS
 Federal Deposit Insurance Corporation
 550 17th Street, NW
 Washington, DC 20429
 RE: R1N3064-AC50  September 15, 2004  Dear Mr. Feldman,  Texas Appleseed, a non-profit, non-partisan organization committed to 
        positive social change in Texas, is concerned about the proposed rules 
        that would change the definition of "small bank" and thus impact the, 
        Community Reinvestment (CRA) obligation of a number of Texas banks that 
        currently serve both urban and rural areas. Texas has had a dramatic, 
        increase in predatory lending in the past decade. Any measure that would 
        reduce access to credit and services for lower income Texas will only 
        exacerbate that disturbing trend.  We are concerned about increasing the "small bank" asset limit to $1 
        billion and reducing the CRA obligations of banks that fall into the 
        $250 million to $1 billion basket. Texas is home to a large and growing 
        low- to moderate-income population that includes people in economically 
        struggling rural areas, new immigrants, and the working poor. The FDIC 
        has made great strides in working with financial institutions to serve 
        new immigrants, and it is in that context that this policy proposal is 
        particularly surprising. This proposal would reduce incentives for 
        financial institutions to reach out to marginalized communities, 
        particularly with respect to smaller community banks whose entire CRA 
        business model involves targeting this growing market.  Your sister financial regulators, the Board of Governors of the 
        Federal Reserve System and the Office of the Comptroller of the Currency 
        have both already rejected similar proposed rules. It is unclear to us 
        why the FDIC would want to pursue such a policy on its own despite 
        significant evidence that the policy would divert much needed investment 
        and product innovation from our poorest communities. We respectfully 
        urge you to maintain consistency in the CRA 
        regulatory scheme. National banks that are making great strides under 
        the CRA could also find themselves at a competitive disadvantage in 
        Texas (and elsewhere) against state non-member banks, and we likewise 
        dread the possibility that the proposed rules could reopen old wounds in 
        the perennial state versus national charter debate.  Three other components of the proposed rule concern us: the broad 
        definition of "rural community," the reduced reporting requirements for 
        banks with assets between $250 million and $1 billion, and the overly 
        flexible system for assessing bank community development activities.  The proposed community development criteria provide CRA credit for 
        serving any individual residing in a rural community. There is no focus 
        on low- to moderate-income rural residents, which is the community in 
        greatest need and with the fewest financial service options. Allowing 
        credit for generally serving rural communities would allow banks to 
        serve the most profitable rural community members and businesses and 
        receive CRA credit, which goes against the spirit of the Community 
        Reinvestment Act.  The elimination of certain reporting requirements for banks that 
        would benefit from the new "small bank" definition will hinder 
        transparency in banking practices. It is important to have key community 
        development information available so that local areas can assess how 
        well their banks are serving their communities. Without sufficient 
        statistical information, it is difficult for a community to analyze and 
        understand how much effort a bank is making to serve the needs of lower 
        income community members.  Finally, the new system for assessing a bank's community development 
        activities is overly flexible and encourages banks to focus on the 
        easiest activities rather than on those that are most beneficial to the 
        less privileged members of the community the bank serves. It is 
        necessary for banks to support community organizations serving lower 
        income population groups. These activities are crucial, but cannot have 
        a significant impact without banks expanding reasonably priced lending 
        opportunities for low- and moderate- income individuals and providing 
        innovative financial service products to make mainstream financial 
        services both accessible and affordable for all Americans. It is the sum 
        of efforts rather than any individual part that creates_true community 
        impact.  The FDIC has launched a wonderful financial education campaign 
        focused on banking the unbanked and creating more sophisticated 
        financial service consumers. The impact of the new rules would be to 
        reduce financial service options for those benefiting from the FDIC 
        financial education program. It is beneficial to teach people new 
        information, but with that information must come possibilities. Any 
        community development test should assess all of the aspects of community 
        development and require that banks do their best to serve the financial 
        service and lending needs of their entire community.  Our organization believes strongly that profit and community benefit 
        can coexist. The Community Reinvestment Act is a perfect example of how 
        the government can positively impact communities while preserving the 
        need of banks to be profitable and sound. Adopting the proposed rule 
        would tip the balance to the side of profit, leaving our most needy 
        communities at an even greater disadvantage. Such a policy may be 
        beneficial to banks in the short term, through cutting expenses related 
        to the CRA examination process. In the long term, it has great potential 
        to decrease asset building for lower income Americans, limiting the 
        number of people moving out of the low- to moderate-income category. The 
        effect of this policy will end up hurting banks by shrinking the 
        potential future upper income customer base.  We thank you for the opportunity to weigh in on this important issue, 
        and hope that you will give serious consideration to our comments. The 
        CRA has proved to be an effective tool in building low-income 
        communities. Why change something that is working?        
         Sincerely,  Michael LowennbergChairman of the Board
 Texas Appleseed
 Austin, TX
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