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 | FDIC Federal Register Citations
 
  Community Housing Opportunities Corporation
 Mr. Robert E. Feldman
 Executive Secretary
 Attention: Comments/Legal ESS
 Federal Deposit Insurance Corporation
 550 17th St. NW 20429
 RE: RIN 3064-AC50 Dear Mr. Feldman:
 Community Housing Opportunities Corporation (CHOC), a nonprofit affordable
	    housing development agency, urges you to withdraw your proposed changes
	    to the Community Reinvestment Act (CRA) regulations. CRA has been instrumental
	    in increasing homeownership, boosting small business and economic development
	    and increasing construction and permanent lending for affordable housing
	    development.
 Under the current CRA regulations, banks with assets of at least $250
          million are rated by performance evaluations that scrutinize their
          level of lending, investing, and services to low- and moderate-income
          communities. The proposed changes will eliminate the investment and
          service parts of the CRA exam for state-charted banks with assets between
          $250 million and $1 billion. In place of the investment and service
          parts of the CRA exam, the FDIC proposes to add a community development
          criterion. The community development criterion would require mid-size
          banks with assets between $250 million and $1 billion to engage in
          only one of three activities: community development lending, investing
          or services. Currently, mid-size banks must engage in all three activities.
 
 If enacted, 879 state-chartered banks with over $392 billion in assets
          would become eligible for the streamlined and cursory exam. In total,
          95.7 percent or more than 5,000 of the state-charted banks that the
          FDIC regulates have less than $1 billion in assets. These 5,000 banks
          have combined assets of more than $754 billion.
 
 In California, there are 146 state-chartered banks located within urban
          areas. 122 of these or 84% have assets up to $1 billion and would be
          eligible for the streamlined exam. In rural California, there are 9
          state chartered financial institutions with 8 of these having assets
          up to $1 billion. If enacted, 89% of California's rural financial institutions
          would become eligible for the streamlined exam.
 The FDIC proposal would significantly harm community development activities
          in rural areas. The proposal states that a bank's rural community development
          activities could benefit any group of individuals instead of only low-
          and moderate-income individuals.
 The FDIC's proposal would eliminate the small business lending data reporting
	    requirement for mid-size banks. Mid-size banks with assets between $250
	    million and $1 billion will no longer be required to report small business
	    lending by census tracts or revenue size of the small business borrowers. In sum, the FDIC’s proposal is directly opposite CRA’s statutory
	    mandate of imposing a continuing and affirmative obligation to meet community
	    needs. The proposed changes will dramatically reduce community development
	    lending, investing, and services. The proposal will particularly affect
	    rural areas least able to afford reductions in credit and capital. Eliminating
	    critical data on small business lending will also result in further reductions
	    to the amount and type of small business lending. The Federal Reserve
	    Board and the Office of the Comptroller of the Currency have recognized
	    the harm
	    this proposal would cause.
 CRA is a vital reinvestment tool. If the FDIC refuses to reverse this proposed
	    course of action, we will ask that Congress halt your efforts.  	    Sincerely,COMMUNITY HOUSING OPPORTUNITIES CORPORATION
 Paul AingerDirector of Development
 
 
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