| From: Judy Steinkuhler Sent: Friday, February 20, 2004 11:09 AM
 To: Comments Subject: Privacy Notice Comments
 To Whom it May Concern:  I represent a small rural bank. We are a 
        non-disclosing bank, as are many small rural banks. We do not need a 
        three page disclosure. Our customers understand our one page document 
        which simply states that we will not disclose their personal information 
        unless required to by law.  Contrary to political belief, the 
        majority of people that have banking relationships actually do 
        understand what they read. But, most choose not to read notices, 8 pt. 
        or 12 pt. type, orange or yellow in color, or short or long. What do you 
        do with the many "privacy notices" you received?  Actually, if you feel this regulation 
        needs to be readdressed, how about discontinuing the requirement for 
        annual notices. It seems to me that once we have given the initial 
        notice the customer has the assurance that his or her personal 
        information will not be disclosed.  Financial institutions across the county 
        incurred much cost, and expended much time in developing their current 
        notices, they do not need the added burden of starting again. 
 Thank you for your consideration, Judith L. Steinkuhler
 Vice President Compliance/Security
 Concordia Bank
 
 
 
 
 |