| Brentwood Bank
 
 From: John Cost [mailto:JCost@brentwoodbank.com]
 Sent: Friday, September 17, 2004 9:29 AM
 To: Comments
 Subject: Community Reinvestment Act
             As a community banker, I strongly support the FDIC's proposal to
              raise the threshold for the streamlined small bank CRA examination
              to $1 billion without regard to the size of the bank's holding
              company. This would greatly relieve the regulatory burden imposed
              on small banks under the current regulation, which are required
              to meet the standards imposed on the nation's largest $1 trillion
              banks. Community banks would still be required to help meet the
              credit needs of their entire community and would continue to be
              so evaluated by their regulator. I support the addition of a community development (CD) criterion
            to the small bank examination, but believe the new CD should be applied
            only to banks greater than $500 million. Since community banks under
            $500 million now hold the same percent of overall industry assets
            as community banks up to $250 million did 10 years ago when the revised
            CRA regulations were adopted, this adjustment is appropriate. As
            you are no doubt aware, it is extremely difficult for small banks,
            especially those in the rural areas, to find appropriate CRA qualified
            investments. Many of these banks have to make regional or statewide
            investments that are unlikely to ever benefit their own communities.
            I'm sure this wasn't the intention of Congress when they enacted
            CRA. I strongly oppose making the CD criterion a separate test from the
            overall CRA evaluation. The current small bank test considers the
            overall lending in the community. This separation would create the
            impression that CD lending is different from the provision of credit
            to the entire community and would create an additional CD obligation
            and regulatory burden, thereby eroding the intent of the streamlined
            exam. I strongly support
              the FDIC's proposal to change the definition of "community development" from
              only focusing on low and moderate income area residents to including
              rural residents. This
            change will go a long way toward eliminating the current distortions
            in the regulations that result in a small rural bank being told to
            invest in regional affordable housing bonds for an urban area not
            in their community. Thank you for your consideration. John Cost
 Loan Administration Officer
 Brentwood Bank
 411 McMurray Road, Suite 200
 Bethel Park, PA
 
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