|  Farmers and Merchants Trust Company of
            Chambersburg
 September 28, 2004
             Mr. Robert FeldmanFederal Deposit Insurance Corporation
 550 17th Street, N.W.
 Washington, D.C. 20129
 Dear Mr. Feldman:  As a community banker, I am pleased to comment in support of the
            proposal issued by the FDIC that would amend the definition of a
            small institution to be a bank that is under $1 billion in assets.  Each week it appears as if there are new regulations to implement
            and an enormous amount of time is spent on the area of the Community
            Reinvestment Act (CRA). With limited resources, the regulatory burden
            is fast becoming a financial burden to all community banks.  Farmers and Merchants Trust Company of Chambersburg is a community
            bank located in rural central Pennsylvania with approximately 195
            full time employees. Our bank has assets of approximately $580 million,
            which classifies us as a large bank under current CRA standards.  Compliance with
              the CRA is a part of every employee’s responsibility,
            from tellers to the president and directors. We believe being involved
            in and supporting the communities in which we work and live help
            to make the communities an attractive resource for new businesses
            to locate and existing businesses to expand. We realize that a community
            bank cannot survive and compete without meeting the needs of our
            communities. It is unfair to think that our bank has to be examined
            by the same guidelines of banks that dwarf us in size and resources.  I urge you to amend the definition of a small bank for CRA purposes
            to be an institution with less than $1 billion in assets, regardless
            of whether the bank is part of a holding company. This would enable
            community banks to allocate more resources to our communities to
            ensure the progress of our communities and our existence as community
            banks.  Sincerely,  John W. OlanderCRA Officer
 Assistant Compliance Officer
 Consumer Loan Review Officer
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