| COMMUNITY BANK AND TRUST 
        From: DHoward000@aol.com [mailto:DHoward000@aol.com] Sent: Friday, October 08, 2004 3:03 PM
 To: Comments; psmith@aba.com
 Subject: RIN No. 3064-AC50
 Rye: RIN Number 3064-AC50: FDIC Proposed Increase in Threshold for the Small Bank CRA Streamlined Examination
 I am Duncan Howard, a director of the Community Bank and Trust in 
        Waco, Texas, which has assets of $270,000,000. I strongly support the 
        FDIC’s proposal to raise the threshold for the streamlined small bank 
        CRA examination to $1
        billion without regard to the size of the bank’s holding company. This 
        would ease the current regulatory requirement placed on small banks that 
        are required to meet the standards imposed on the nation’s largest $1 
        trillion banks. 
        Community banks would, of course, remain required to assist the credit 
        needs of their entire communities and would be so evaluated by their 
        regulator.  In addition, I support including of a community development criterion 
        in the small bank examination for larger community banks. I feel the 
        FDIC should adopt its original $500 million threshold without a 
        Community Development criterion and that the new Community Development 
        criterion should be applied only to banks greater than $500 million up 
        to $1 billion. As FDIC examiners realize, it is difficult for small 
        banks in rural communities, to locate regional or statewide investments 
        that will benefit the bank’s own community, as intended by Congress  I and certainly, I oppose making the CD criterion a separate test 
        from the banks overall CRA evaluation. This would create an undesirable 
        impression that CD lending is a different lending in the community. A 
        combination of CD lending and services to assist community lending would 
        enhance the small bank CRA streamlined examination,  I appreciate and support the FDIC’s proposal to change the definition 
        of Community Development from only low level and moderate income 
        residents to include rural residents. This will discourage small rural 
        banks from investing in regional housing bonds for an urban area 
        separate from the bank’s community.  Sincerely,Duncan Howard
 |