| FDIC Federal Register Citations
 
  Atlanta Housing Association of Neighborhood-Based Developers
 From: SCARPENTER@AHAND.ORG [mailto:SCARPENTER@AHAND.ORG]
 Sent: Monday, October 18, 2004 9:15 PM
 To: Comments
 Subject: Community Reinvestment -- RIN 3064-AC50
 10/18/04 9:14:33 PM Mr. Robert E. Feldman Executive Secretary Attention: Comments/Legal ESS Federal Deposit Insurance Corporation550 17th St. NW
 Washington, DC 20429
 RE: RIN 3064-AC50
 Dear Mr. Feldman: I am writing to request that you withdraw your proposed changes tothe Community Reinvestment Act (CRA) regulations. My organization,
 ATLANTA HOUSING ASSOCIATION OF NEIGHBORHOOD-BASED DEVELOPERS, knows 
         firsthand that the CRA has been instrumental
 in increasing homeownership, boosting economic development, and
 expanding small businesses in the nation’s low- and moderate-income
 communities.
 The Community Reinvestment
          Act is a critical component of our community’saffordable housing and community development solutions. For the past
          18
 years, Metropolitan Atlanta-based Community Development Corporations
        have
 built over 300 units of affordable housing and helped to create 2000
        jobs,
 improving the lives of low- and moderate-income families in our community.
 Without strong support from our financial institution partners, this
        work
 would not have been possible.
 The proposed FDIC
          rule would exempt many of our community’s keyfinancial partners from the effective and productive requirements
 currently in place. We oppose any increase to the threshold of what
 is considered to be a small bank,and we urge the FDIC withdraw its
 proposed rule Sincerely,
 SULE CARPENTERATLANTA HOUSING ASSOCIATION OF NEIGHBORHOOD-BASED DEVELOPERS
 PO BOX 11387
 ATLANTA, GA 30314
 
 
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