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| FDIC Federal Register Citations Crescent
            Bank & Trust Re: RIN 3064-AC50 Dear Sir: Please let this correspondence
        serve as notice that Crescent Bank & Trust
      fully supports changes to the Community Reinvestment Act as proposed during
      2004. Increasing the threshold to $1 billion and adding a new community
      development criterion to the small bank performance standards for banks
      with total assets that exceed $250 million will greatly reduce the regulatory
      burden without reducing the actual dollars invested in the community. As
      reinvestment is the ultimate goal I believe all interests will be best
      served by your proposal.  
 
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| Last Updated 11/22/2004 | regs@fdic.gov | |
