|  Mr. Robert E. FeldmanNAUGATUCK SAVINGS BANK
 Executive Secretary
 Federal Deposit Insurance Corporation
 550 17th Street, N.W.
 Washington, D. C. 20429
 Subject: RIN Number 3064-AC50 Dear Mr. Feldman, We would like to make the following comments on proposals to change
            the regulations governing the Community Reinvestment Act. Naugatuck Savings Bank is a $600 million mutual savings bank and
              has committed to donate 10% of pre-tax income into the Naugatuck
              Savings Bank Foundation which the bank formed in 1998. Currently
              the foundation has over $5 million in assets and will provide grants
              of over $230 thousand in 2004 to community based non-profit organizations.
              The Foundation is truly a community asset which will provide funding
            to non profit groups in perpetuity. Comment 1: Should the small bank definition be increased to $1 billion
              without adding a community development criterion and subject these
              banks to the existing streamlined performance criteria applicable
            to banks with assets less then $250 million? The bank is in favor of increasing this limit to $1 billion and
              strongly opposes adding any new community development criterion.
              The bank cannot compete in our markets with the large regional and
              national banks in meeting the investment criterion of the CRA regulations.
              Additionally, we do not have the resources or expertise to evaluate
            and manage these investments. Comment 2: Instead of adding a community development criterion for
              small banks between $250 million and $1 billion under the current
              proposal, should the FDIC instead apply a separate community development
              test in addition to existing streamlined performance criteria applicable
              to small banks to evaluate community development activities of such
            banks? As noted in Comment 1, the bank is not in favor of adding new community
              investment criterion, however, if the FDIC does develop new criterion
              we strongly encourage you to include the value of both the assets
              of a foundation and the annual giving of a foundation funded by a
              bank in the evaluation. The FDIC currently lacks any direction in
            regards to foundations and their value to the community. In Naugatuck Savings Bank’s case, given the bank’s current
              projections the bank’s foundation will grow to over $11 million
              within 5 years and provide the community annually with over $500
              thousand in contributions. This has a significant positive impact
              on the community and should be favorably and highly rated in the
              performance evaluation. Many banks similar in size and capital
            structure have created and funded like foundations in their communities.  Comment 3: If a new community test is imposed, how should these
            activities be weighted in assigning a performance rating? The bank feels both the assets of a Foundation and the annual contributions
              to the community should be given a significant weight when assigning
            a performance rating. Comment 4: How should the ratings of both the existing streamlined
              performance rating and the community development test be weighted
            in assigning an overall performance rating? The bank feels strongly that our commitment to the community in
              donating close to $1 million a year into the foundation is commendable
              and shows our strong commitment to the communities we serve. It is
              unique and exceeds the commitment made by larger banks who receive
              outstanding ratings based on achieving higher scores on the current
            investment and service tests.  Clearly, committing 10% of pre-tax earnings needs to be given a
            significant weight when assigning the overall CRA performance rating. Please consider these comments when drafting the proposed changes
            to the Community Reinvestment Act regulations. Sincerely, Kathleen E. LaGrave
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