|  Habitat for Humanity International
 The Washington Office
 1010 Vermont Ave. N.W., Suite 900
 Washington, D C 20005
 TO: Robert E. Feldman, Executive Secretary  Comments on FDIC NPR on Community Reinvestment Published August 20, 2004
 RIN #3064-AC50
 September 17, 2004  Mission of Habitat for Humanity International  Habitat for Humanity
              International (HFHI) is a non-profit organization with 1,689 affiliates
              in the
              United States. Habitat for Humanity’s
            mission is to build or rehabilitate simple, decent, affordable homes
            with people in need of housing and to eliminate substandard housing
            from the face of the earth. In this role, HFHI affiliates are the
            recipients of certain types of benefits under the Community Reinvestment
            Act requirements, which is why Habitat for Humanity is submitting
            comments on this proposed regulatory change. Summary of Proposed Rule The FDIC is proposing
              revisions to 12 CFR Part 345, regulations implementing the Community
              Reinvestment Act (CRA) that would: (a)
            change the definition of “small bank” to raise the asset
            size threshold from $250 million to $1 billion regardless of holding
            company affiliation; (b) add a mandatory community development performance
            criterion for those banks in the $250 million - $1 billion range;
            and (c) for rural areas, expand the definition of “community
            development” to encompass a broader range of activities.  General Comments Habitat for Humanity
              International does not have expertise on banking regulatory matters
              or familiarity
              with any burden on “small
            banks” of complying with the current regulations, so it does
            not intend to comment on those issues. However, HFHI affiliates have
            been able to provide the American Dream of homeownership to more
            families as a result of benefits received from local banks under
            the Community Reinvestment Act.  It is the understanding of HFHI that the Administrative Procedure
            Act requires a cost/benefit analysis to be a part of any proposed
            rulemaking. Indeed, the financial institutions regulated by these
            regulations recommended, in response to the July 2001 Advance Notice
            of Proposed Rulemaking, that any change to the regulations take into
            account both process costs and the benefits of change (69 FR 5729,
            February 6, 2004, at 5731). HFHI does not see any indication that
            the following data were compiled or analyzed by the FDIC: (1) the
            costs of complying with the current regulation for banks having $250
            million - $1 billion in assets; (2) the reduced costs (if any) to
            these banks of the proposed change in definition; or (3) the potential
            lost benefits to communities from no longer requiring banks of this
            size to comply with the full range of CRA requirements. Instead,
            the FDIC in its preamble to the Notice dated August 20, 2004, simply
            summarizes the cost and benefit claims made by the various organizations
            commenting on the proposal, without doing an actual cost/benefit
            analysis of its own. HFHI urges that such an analysis be done before
            making such a major change in the regulations. Section 345.26. Small Bank Performance Standards. FHI affiliates
              have been receiving the following types of benefits from banks
              having assets
              worth over $250 million (i.e., those not
            defined currently as “small”), for which those banks
            have received CRA credit under various regulatory tests:  
Grants for housing.“Pro bono” mortgage
   	           servicing; and Bank sponsorship of Federal Home Loan Bank Affordable Housing Program
                  grants. Under
       	        the current regulations, banks defined as “small” only
            have to comply with the so-called “streamlined test” in
            order to meet the performance standards under the CRA, a test focused
            mainly on lending activities. HFHI affiliates normally do not obtain
            loans from banks because in most cases the affiliate acts as the
            lender for its homeowners. The benefits that HFHI affiliates have
            been receiving under the CRA, such as housing grants, free mortgage
            servicing, and Affordable Housing Program grants, are evaluated currently
            under the “investment test,” and thus are not part of
            the present “streamlined test” for small banks. The proposed
              rule recommends adding a community development criterion to the
              streamlined test
              for small banks. The proposed rule would
            evaluate, in subsection (b)(3), a small bank’s responsiveness
            to “community development needs;” and in (b)(4), the
            bank’s “indirect activities,” including “community
            development services provide by an affiliate of the bank.” How
            these terms will be defined or applied is not explained. If this
            proposed rule is eventually adopted, HFHI recommends that the rule
            require the inclusion of activities such as housing grants, pro bono
            mortgage servicing, and sponsorship of Federal Home Loan Bank Affordable
            Housing Program grants when applying the proposed expanded streamlined
            test to the newly defined “small banks” – i.e.,
            those having between $250 million and $ 1 billion in assets.  Section 345.12. Definitions, and Development in Rural Areas. HFHI is pleased
              to note that this new community development requirement within
              the streamlined
              test is covered in the proposed definitions
            in section 345.12(g), which defines “community development” to
            include: (1) affordable housing for low- or moderate-income individuals
            or for individuals in rural areas; (2) community services targeted
            to low- or moderate-income individuals or to individuals in rural
            areas; and (3) activities that revitalize or stabilize low- or moderate-income
            geographies or rural areas. Since HFHI has many affiliates in rural
            areas working to eliminate substandard housing, it supports giving
            CRA credit to banks doing activities that revitalize or stabilize
            low- or moderate-income housing in rural areas.  However, the
              definitions as presently written could be interpreted to permit
              CRA credit
              for activities in rural areas that are not focused
            on low- or moderate-income individuals, or on revitalizing rural
            areas. Under that interpretation, it could be possible that a “small
            bank” supporting a development designed for affluent individuals,
            but located in a rural area, could receive CRA credit. If that is
            the intent of the definition of “community development,” HFHI
            respectfully suggests that such a result is not within the original
            goals of the Community Reinvestment Act.  Conclusion As a first priority,
              HFHI recommends, as did the financial institutions in February
              of 2004, that a cost/benefit analysis be done before
            this proposed rule is adopted as a final rule. Secondly, if
              the FDIC does adopt a final rule, HFHI urges the FDIC to include
              a community
              development criterion in the test, and to
            give credit to “small banks” for activities such as housing
            grants, pro bono mortgage servicing, and Federal Home Loan Bank Affordable
            Housing Program grants. Thank you for the opportunity to comment on this important regulatory
            matter. Sincerely, David WilliamsExecutive Vice President and Chief Operating Officer
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