| Franklin County Community Development Corporation From: John Waite [mailto:johnw@fccdc.org] Sent: Thursday, September 16, 2004 4:37 PM
 To: Comments
 Subject: RIN 3064-AC50
 
 Please see attached letter, which is also printed below, in 
        opposition to the changes in CRA.  Franklin County Community Development Corporation  September 15, 2004  Mr. Robert E. FeldmanExecutive Secretary
 Attention: Comments/Legal ESS
 Federal Deposit Insurance Corporation
 550 17th St. NW 20429
 RE: Community Reinvestment - RIN 3064-AC50  Dear Mr. Feldman:  I urge you to withdraw your proposed changes to the Community 
        Reinvestment Act (CRA) regulations. CRA has been instrumental in 
        increasing homeownership, boosting economic development, and expanding 
        small businesses in the nation’s minority, rural, and low- and 
        moderate-income communities. Your proposed changes are contrary to the 
        CRA statute and Congress’ intent because they will reverse the progress 
        made in community reinvestment.  On behalf of the Franklin County Community Development Corporation (FCCDC), 
        I want to register opposition to the above proposed rule changes 
        regarding the asset threshold for banks covered by the Community 
        Reinvestment Act. We believe that the rule should be left as it 
        currently stands.  FCCDC is a rural private not for profit corporation that has 
        developed partnerships with banks on a variety of community and economic 
        development projects and investments. Most of the banks we work with 
        fall below the threshold that is proposed under the new rules. I believe 
        that CRA was pivotal in opening the door and cementing the relationship 
        between our organization and our partner banks.  Rural, low-income communities typically have the greatest need for 
        public and private capital. Yet, it is these very communities that also 
        lack banks large enough to meet the new thresholds proposed by the FDIC 
        rule changes. The proposed change threatens to stop the kind of public 
        private investments that are so needed in our poorer rural communities. 
        In the long term, exempting the rural banks will hurt both the banks and 
        the community. For these reasons, I want to strongly state our 
        opposition to the proposed FDIC change.  John Waite  Executive DirectorFranklin County Community Development Corporation
 324 Wells Street
 Greenfield, MA 01301
 
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