| Coachella
              Valley Housing Coalition 
 From: Martha Mendez [mailto:martha.mendez@cvhc.org]
 Sent: Monday, October 04, 2004 1:20 PM
 To: Comments
 Subject: RIN 3064-AC50
             Robert E. Feldman, Executive Secretary Attention: Comments/Legal ESS
 Federal Deposit Insurance Corporation
 550 17th Street, N.W.
 Washington, D.C. 20429
 
 Re: The FDIC’s proposed change to the Community Reinvestment
            Act’s definition of a “small bank.”
 
 Dear Sir:
 
 As a concerned citizen and as an employee of the Coachella Valley Housing Coalition
  (CVHC), I am writing to express my adamant opposition of any changes to the
  Community Reinvestment Act.
 The Coachella Valley Housing Coalition has committed 22 years to helping low
  income people improve their living conditions through advocacy, research, and
  the construction and operation of housing and community development projects.
  These efforts have meant the construction of more than 2,500 single family
  homes and apartment units for farmworkers, migrant farmworkers, seniors, and
  individuals with special needs, HIV/Aids and other chronic illnesses.
 
 Small banks have always been an integral part of the communities they serve—they
  are more familiar with their surroundings and clientele, and their banking
  needs—CRA forces all banks to get out and serve the neighborhoods in
  which they operate. When banks infuse their services into a community that
  community thrives, businesses thrive, people purchase homes, etc. To reduce
  CRA’s mandate for “small” banks will cause banks to focus
  on easy and more profitable avenues of business rather than working towards
  a broader lending portfolio. Because government subsidies for housing are shrinking,
  now is not the time to decrease regulations for private capital to leverage
  scarce subsidy dollars.
 
 CVHC has benefited greatly from CRA’s mandate on both large and small
  banks, through various loans and grants over the years. Communities will lose
  with less stringent CRA standards. I urge FDIC not to move forward with the
  OTS proposed rule.
 
 I appreciate the opportunity to share with you my impressions on any changes
  proposed for the Community Reinvestment Act as it serves as a great tool for
  all our housing and community building efforts. Thank you for your consideration
  of my comments.
 
 Sincerely,
 Martha Mendez Self-Help Program Specialist
 Coachella Valley Housing Coalition
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