| HILL COMMUNITY DEVELOPMENT CORPORATION Mr. Robert E. FeldmanExecutive Secretary
 Attention: Comments/Legal ESS
 Federal Deposit Insurance Corporation
 550 17th Street NW
 Washington, D.C. 20429
 RE: RIN 3064-AC50  Dear Mr. Feldman: As a member of the Pittsburgh Community Reinvestment Group, the Hill 
        Community Development Corporation urges you to withdraw your proposed 
        changes to the Community Reinvestment Act (CRA) regulations. CRA has 
        been instrumental in increasing homeownership, boosting economic 
        development, and expanding small businesses in Pittsburgh's minority and 
        low- and moderate-income communities. Your proposed changes are contrary 
        to the intent and fundamentals of CRA because they will impede the 
        progress made in community development.  Currently, CRA exams look at the number of loans, investments, and 
        services that banks with more than $250 million in assets make to low- 
        and moderate-income communities. Your proposal will eliminate the 
        investment and service portion of the CRA exam for banks with assets 
        between $250 million and $1 billion thereby affecting several key 
        banking institutions here in Pittsburgh. To replace the investment and service parts of the CRA exam, the FDIC 
        proposes to add an inadequate community development criterion. Mid-size 
        banks with assets between $250 million and $1 billion would only have to 
        engage in one of three activities: community development lending, 
        investing or services. Currently, mid-size banks must engage in all 
        three activities. The Hill Community Development Corporation believes 
        that the end result will be significantly fewer loans and investments in 
        affordable home-ownership programs, small business loans and community 
        based development lending. Traditionally, mid-size banks have 
        accomplished these activities by developing innovative products and 
        creating underwriting criteria to meet the needs of underserved 
        communities and their development corporations. By eliminating the 
        requirements set forth by CRA, Mid-size banks will no longer keep these 
        actions in mind when conducting banking practices.  The elimination of the service test will especially have a harmful 
        consequence for low- and moderate-income communities in Pittsburgh. CRA 
        examiners will no longer expect mid-size banks to place bank branches in 
        low- and moderate-income communities, effectively halting our efforts to 
        provide affordable checking and savings accounts to consumers with 
        modest incomes. In addition, your proposal eliminates small business 
        lending data reporting for mid-size banks. Without data on lending to 
        small businesses, the public cannot hold mid-size banks accountable for 
        responding to the credit needs of small businesses, which is a 
        fundamental aspect of community development.  In conclusion, your proposal is directly the opposite of CRA' s 
        mandate of imposing an obligation to meet community needs. Two other 
        federal agencies did not embark upon the path you are taking because 
        they recognized the harm it would cause. CRA is too vital to be gutted 
        by regulators. If you do not reverse your proposed course of action, The 
        Hill Community Development Corporation will ask that Congress halt your 
        efforts before the damage is done. Sincerely, Andrea Wright-Banks
         
        Cc: Hill CDC Board of DirectorsPittsburgh Community Reinvestment Group
 National Community Reinvestment Coalition
 President George W. Bush
 Senators John Kerry and John Edwards
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