| ALLIANCE FOR HEALTHY HOMES 
 From: Don Ryan [mailto:DRyan@AFHH.org] Sent: Wednesday, September 15, 2004 5:15 PM
 To: Comments
 Subject: RE: RIN 3064-AC50
 September 20, 2004  Mr. Robert E. FeldmanExecutive Secretary
 Attention: Comments/Legal ESS
 Federal Deposit Insurance Corporation
 550 17th St., NW
 Washington, DC 20429
 RE: RIN 3064-AC50  Dear Mr. Feldman:  On behalf of the Alliance for Healthy Homes, a national non-profit 
        organization working to address environmental health hazards in housing, 
        I am writing in opposition to the Federal Deposit Insurance 
        Corporation’s August 20, 2004, proposed rule that would exempt some 96% 
        of all FDIC-regulated banks from many of the requirements of the 
        Community
        Reinvestment Act (CRA).  CRA has helped leverage billions of dollars in resources for decent 
        and affordable housing over the past two and a half decades. In many 
        cases, funding leveraged using CRA has improved the physical condition 
        and affordability of homes, making the living environment more healthful 
        for lower income occupants.  Housing conditions are an important factor in the health of 
        occupants. Indoor exposures far exceed outdoor levels for most 
        pollutants - often by a factor of at least 10 for many pollutants of 
        concern. Moreover, most people spend about 90% of their time indoors. 
        Infants and toddlers, whose developing bodies and brains make them most 
        sensitive to pollutants, spend the most time at home. Older people, who 
        are very sensitive to environmental toxins, also tend to stay at home 
        more than most other age groups.  Each year in the U.S., two million people make emergency room visits 
        for asthma. Damp, cold, and moldy housing is associated with asthma and 
        other chronic respiratory problems. Pest infestations are also 
        associated with asthma. In particular, cockroaches have been found to 
        trigger asthma attacks. Lead poisoning affects some 434,000 U.S. 
        children. Lead-based paint in older housing is the primary cause of the 
        disease, which results in reduced intelligence and learning and behavior 
        problems. Exposures to asbestos particles, radon gas, and carbon 
        monoxide are far higher indoors than outside. Annually, radon causes 
        between 15,000 and 22,000 deaths annually in the U.S., according to the 
        U.S. EPA and the National Academy of Sciences, and carbon monoxide 
        claims more than 200 lives.  While homes of any age and value can pose serious environmental 
        hazards, older, low-income properties in substandard condition typically 
        present the greatest risks. According to the U.S. Centers for Disease 
        Control and Prevention, there are currently 6 million homes classified 
        as substandard.  In some places (New Jersey, Massachusetts, and Long Beach, CA, are 
        ready examples), CRA has been used to convince banks to create 
        discounted financing programs specifically for lead paint other 
        health-related repairs.  The FDIC’s proposed new rule would relieving some 2,000 banks - with 
        total assets of more than $754 billion and branches in more than 18,800 
        communities - of their obligation to provide investments and services in 
        low-income areas. This will undermine the ability of advocates for 
        healthy homes to convince these banks to address these and other issues 
        of housing condition and affordability. We strongly urge FDIC to 
        withdraw its proposed rule in the interest of promoting a more healthful 
        housing stock in low-income communities.  Sincerely,  Don RyanExecutive Director
 Alliance for Healthy Homes
 227 Massachusetts Ave. NE #200
 Washington, DC 20002
 Phone: 202-543-1147
 Fax: 202-543-4466
 dryan@afhh.org
 www.afhh.org
 Founded in 1990 as the Alliance To End Childhood Lead Poisoning, we 
        have expanded our work on lead poisoning prevention to address other 
        housing-related health hazards.
        
 |