| HOUSING DEVELOPMENT 
        CORPORATION From: Michael Carper [mailto:mcarper@hdcweb.com] Sent: Wednesday, September 15, 2004 5:36 PM
 To: Comments
 Cc: Dave Loughery
 Subject: Community Reinvestment -- RIN 3064-AC50
 
 Dear Mr. Feldman and Members of the FDIC,  I am the President of a private non-profit that has been developing 
        affordable housing for more than 30 years in central Pennsylvania. 
        Throughout those years we have enjoyed active participation in our 
        development activities by banks both large and small. As many banks in 
        our region have merged up in size, we have been reliant on the remaining 
        community banks to support us in the local markets. We have seen large 
        bank decision making move to other states or regions with little 
        understanding of the local issues. We do business in rural, suburban and 
        urban markets. Today HDC manages 2,049 affordable apartments in a 6 
        county area serving more than 3,500 residents.Your proposed changes to the applicability of CRA could have a 
        disastrous affect on our ability to tap into locally controlled capital 
        causing us to lose our ability to carry out our mission. CRA has been 
        instrumental in increasing the supply of affordable rental housing, 
        homeownership, boosting economic development, and expanding small 
        businesses in the nation's minority, immigrant, and low- and 
        moderate-income communities.
 Under the current CRA regulations, banks with assets of at least $250 
        million are rated by performance evaluations that scrutinize their level 
        of lending, investing, and services to low- and moderate-income 
        communities. The proposed changes will eliminate the investment and 
        service parts of the CRA exam for state-charted banks with assets 
        between $250 million and $1 billion. In place of the investment and 
        service parts of the CRA exam, the FDIC proposes to add a community 
        development criterion. The community development criterion would require 
        banks to offer community development loans, investments or services.
 The community development criterion would be seriously deficient as a 
        replacement for the investment and service tests. 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. 
        Under your proposal, a mid-size bank can now choose a community 
        development activity that is easiest for the bank instead of providing 
        an array of comprehensive community development activities needed by 
        low- and moderate-income communities.
 I believe that if the FDIC adopts its proposal, community 
        reinvestment in rural areas will be dramatically reduced. Please do not 
        adopt this rule.  Respectfully, 
 Mike Carper President,
 Housing Development Corporation
 308 East King Street
 Lancaster, PA 17602
 717-509-8036
 mcarper@hdcweb.com
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