| SOUTHWEST BANK October 5, 2004
         Public Information RoomOffice of the Comptroller of the Currency
 250 E Street, SW
 Mailstop 1-5
 Washington, DC 20219
 Fax: 202-874-4448
 e-mail: regs.comments@occ.treas.gov
 Robert E. Feldman, Executive SecretaryFederal Deposit Insurance Corporation
 550 17th Street, NW
 Washington, DC 20429
 Website: http://www.fdic.gov/
        e-mail: comments@fdic.gov
 
        Ms. Jennifer J. Johnson, SecretaryBoard of Governors of the Federal Reserve System
 20th Street and Constitution Avenue, NW
 Washington, DC 20551
 Fax: 202-452-3819
 e-mail: regs.comments@federalreserve.gov
 Regulation CommentsChief Counsel's Office
 Office of Thrift Supervision
 1700 G Street, NW
 Washington, DC 20552
 Fax: 202-906-6518
 e-mail: regs.comments@ots.treas.gov
 
        Re: Oxley’s Lead in Charge for Community Reinvestment Act Reform 
        Dear Sir or Madam: 
        I am extremely thankful to House Financial Services Committee Chairman 
        Mike Oxley (R-OH) and the 20 other Republicans* who recently told FDIC 
        Chairman Donald Powell, in a September 22, 2004 letter, that they 
        support the agency’s proposed changes to CRA regulations that would 
        raise the asset size limit for streamlined examinations to $1 billion. 
        As stated in the letter, “The FDIC’s proposal will permit small 
        institutions to focus their time and resources to the communities they 
        serve rather than complying with burdensome regulatory requirements.”
        Additionally, the letter went on to say “We would support the FDIC’s 
        community development test as proposed so long as this test would 
        provide banks with more flexibility to deal with CRA regulations in a 
        cost-effective way while not imposing any new regulatory burdens and 
        costs.”
 As a community banker, I couldn’t agree more with the sentiments, 
        statements and facts of these two very succinct statements! It would 
        appear to me that these Members truly do understand the excessive cost 
        and time constraints small community banks would disproportionately face 
        if they were to be subjected to the same CRA requirements as the large 
        multi-million dollar mega-banks.
 The reporting and tracking requirements for large banks versus small 
        banks are out of proportion in relation to the benefit to be gained. The 
        decision to increase the threshold for small banks should be supported 
        by all the Regulatory Agencies, and all members of the House, Senate and 
        Congress as well.
 *Additional thanks also go to: Richard Baker (LA), Spencer Bachus 
        (AL), Robert Ney (OH), Ed Royce (CA), Ron Paul (TX), Paul Gillmor (OH), 
        Jim Ryun (KS), Walter Jones (NC), Doug Ose (CA), Tom Feeney (FL), Jeb 
        Hensarling (TX), Scott Garrett (NJ), Ginny Brown-Waite (FL), J. Gresham 
        Barrett (SC), Shelly Moore Capito (WV), W. Todd Akin (MO), Jim Gerlach 
        (PA), C. L “Butch” Otter (ID), Pete Sessions (TX) and Roscoe Bartlett 
        (MD).  Thank you in advance for letting me share my thoughts with you on 
        this topic.Sincerely yours,
 Bill MansfieldVice President \ Credit Administration
 
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