| IRMAS HOUSING CONDITIONS PROJECT 
        From: Elissa Barrett  Sent: Tuesday, September 14, 2004 6:42 PM
 To: Comments
 Subject: Community Reinvestment -- RIN 3064-AC50
 
 RIN 3064-AC50: OPPOSED TO PROPOSED CHANGES IN THE COMMUNITY 
        REINVESTMENT ACT  Bet Tzedek (House of Justice) Legal Services provides free legal 
        assistance to thousands of people who would otherwise be unable to 
        afford legal counsel for themselves.  Based on decades of representing low-income tenants in Los Angeles, 
        Bet Tzedek understands that targeted investment in residential housing 
        inside low income neighborhoods (either through in-fill projects or 
        rehabilitation) is crucial to alleviating California's housing crisis.
         The Community Reinvestment Act is a critical component of our 
        community's affordable housing and community development solutions. 
        Targeted investment in the creation or rehabilitation of affordable 
        housing happens because lenders have strong incentives to participate. 
        Any change in FDIC regulations that reduces those incentives or reduces 
        the investment partners subject to those incentives cripples 
        California's ability to respond to its ever-broadening housing crisis.
         Without such investment, the existing housing stock will continue to 
        decline (in quantity and quality), driving prices up and leaving 
        families who already pay more than 50% of their monthly income on rent 
        trapped in slum housing — with all the attendant risks to their 
        childrens' health and safety. See http://housingcrisisla.ucla.edu and 
        http://www.ucl.ac.uk/dpu-projects/Global_Report/pdfs/LA.pdf.  Without such investment, we all bear the costs of these health risks. 
        For instance, the Department of Housing and Urban Development estimates 
        that the U.S. economy has lost $1.54 billion, the economic benefit in 
        terms of lifetime earnings from children who would have been productive 
        members of society had they been protected from lead paint poisoning (a 
        health risk closely associated with slum housing).  Bet Tzedek therefore opposes any increase to the threshold of what is 
        considered to be a small bank. The proposed FDIC rule would exempt many 
        of our community's critical partners from the effective and productive 
        requirements currently in place. In sum, Bet Tzedek opposes RIN 
        3064-AC50 and joins the hundreds of other housing advocates in urging 
        the FDIC to withdraw its proposed rule.  Sincerely,Elissa D. Barrett
 Bet Tzedek Legal Services
 Irmas Housing Conditions Project
 145 S. Fairfax Ave., Ste. 200
 Los Angeles, CA 90036
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