| National Council on Agricultural Life and Labor
            Research Fund
 
 September 16, 2004
             Robert E. FeldmanExecutive Secretary
 Attention: Comments
 Federal Deposit Insurance Corporation
 550 17th Street, NW
 Washington, DC 20429
 Dear Mr. Feldman: RE: “RIN
              3064-AC50” On behalf of the National Council on Agricultural Life and Labor
            Research Fund, Inc. (NCALL), I am pleased to comment on the proposed
            changes to the Community Reinvestment Act statute being considered
            by the FDIC. NCALL is a regional nonprofit organization based in
            Dover, Delaware that works to assure lower income households have
            access to affordable apartments and to homeownership opportunities.  Our development
              work is responsible for 37 apartment communities with another 11
              communities
              under construction or with funds obligated.
            During 2004, NCALL’s homeownership counseling program reached
            its 5,000th closing, having leveraged nearly $500 million in attractive
            CRA mortgages and down payment and settlement help. NCALL’s
            rural loan fund has done substantial lending to nonprofit housing
            developers and is currently in the planning stages of becoming a
            CDFI to better serve our nonprofit and household customers. A majority
            of this work has been done in rural areas serving households of modest
            means, often minority and female-headed households, who simply would
            not have accessed decent, affordable housing any other way. Virtually
            all of this work has been supported by CRA activities, some by the
            same banks that would be exempted by the proposed rule. 1. CRA has been so instrumental in Delaware by involving the private
            sector in housing and community development, an industry previously
            solely left to government. The emphasis on homeownership has had
            a dramatic economic impact that is right now being studied by the
            Delaware Housing Coalition through the Economics Department of the
            University of Delaware. Any weakening of this law will negatively
            impact the public, which is already reeling from a lack of consumer
            protection and predatory lending.             2. This Administration has undertaken an ambitious goal of elevating
              homeownership, particularly to minority households, by the end
              of the decade. Enacting this CRA change in Delaware puts the goal
              of improving minority homeownership in our rural areas which is
              where the preponderance of banks are that will be exempted or streamlined
            at great risk.  3.	Delaware’s rural areas, which traditionally have not enjoyed
            the housing and community development resources of urban America,
            would be hard hit by the proposed CRA changes. A listing of the banks
            that would be streamlined with cursory exams due to increased asset
            size thresholds reads like a “Who’s Who” of Delaware’s
            rural banks. Any change in offering attractive mortgages, underwriting
            criteria, support of homeownership counseling, and investment in
            affordable housing will upset the delicate balance that is now starting
            to make headway in addressing local housing needs. 4. It is clear from the past twenty years of active CRA history
            in Delaware that any lessening, streamlining, or relaxation of CRA
            and the examination process which now holds financial institutions
            accountable through evaluation of their lending, investing, and services
            to low and moderate income communities, would have dire results.
            Corporate goodwill is simply not sufficient to address the deeply
            rooted and expensive issues of decent housing and community development.
            All resources currently available are needed. We simply cannot afford
            to take major steps backward. 5. At a time when the federal government is divesting itself of
            the urban and rural housing programs of the past, as we see programs
            gutted and budgets reduced, low and moderate income people and communities
            cannot take the double hit of lessened CRA responsibilities. Affordable
            housing is far too complicated to develop, difficult to preserve,
            and expensive to finance to leave to the chance of a relaxed CRA
            program. 6. The same banks in Delaware that would benefit from the rule changes
            and streamlining are currently involved in special mortgages, Latino
            workforce financial literacy programs, homeownership counseling,
            and many more creative initiatives that are helping to address the
            many needs that exist. Some invest in Low Income Housing Tax Credits,
            which are such a necessary part of the apartment development that
            we do, serving families, elderly, and farmworkers who cannot yet
            afford homeownership. These smaller institutions are important to
            our CRA mix in Delaware. 7. What possible
              positive impact can come from removing the investment and service
              tests
              for almost half of Delaware’s financial institutions?
            The result could only be a lessening of affordable credit, capital
            and banking services to the rural, already underserved communities.
            How can we to be sure the exempt institutions would continue offering
            branches, checking accounts, Individual Development Accounts, or
              debit card services—the exact access to capital and wealth
              building tools that are needed? 8. Finally, at a time when predatory lending and consumer debt threatens
            the very fiber of our nation, why would we further de-regulate some
            of the very institutions that that are preying on the very people
            and communities that need access to quality credit? Changing CRA
            at this time leaves far too much to chance when we cannot afford
            the loss of any credit, investments, services, or mortgages. The wonderful housing and community development gains leveraged
            by CRA cannot be risked or weakened at the expense of decent, affordable
            housing and banking services for the retired who have contributed
            so much to our country, our modest income families who provide so
            many necessary services to our communities, our workforce who often
            have difficulty securing affordable housing, and farmworkers who
            put the food on our table. Thank you for your consideration. Sincerely,             Joe L. MyerExecutive Director
 
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