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Legislative and Regulatory Comment Letters
Woodstock Institute influences policy at the local, regional, and national level by closely analyzing the impact of pending proposals on lower-income and minority communities. Many of these letters are available for download.

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Comment on the Interagency Guidance on Overdraft Protection or "Bounced Check" Programs
July 29, 2004
Comment letter on the proposed interagency guidance on overdraft protection finds that the the guidance will not protect consumers from a risky “service” that effectively amounts to a short-term, high-rate loan program.  Suggests that bounced check loans ought to be regulated under the Truth in Lending Act rather than the Truth in Saving Act.  TILA coverage would require that banks disclose the APR, solicit the affirmative assent of the consumer before enrolling them in a bounced check loan product, and ensures private right of action.
Comments on 2007 FDIC Guidance on Small Loans
February 01, 2007
Comment letter in support of the proposed FDIC Guidelines for Affordable Small Dollar Lending announced in early December to assist banks in responsibly meeting the small loan needs of their customers. The letter also supports the proposal to reward banks through the Community Reinvestment Act for developing appropriate loan products as well as the proposal to limit interest rates on these types of products to 36 percent.
Comments on Federal Reserve ANPR Regarding Credit Card Terms and Conditions
March 24, 2005
Comment letter on the advance notice of proposed rulemaking (ANPR) on the open-end credit rules of Regulation Z.  Finds that some of the policies examined in the ANPR – such as increasing interest rates and credit limits on short notice to those in debt – are particularly destructive.  Suggests changes to the regulation that would end unreasonable fees, deceptive payment allocation, cut-off times, and universal default.
Comments on September 2004 FDIC changes to regulation of the Community Reinvestment Act
September 15, 2004
Comments on the FDIC's proposed changes to their regulation of the Community Reinvestment Act (RIN3064-AC50) which would repleace the three part test with the lending and community development test for FDIC banks between $250 million and $1 billion in assets.
Comments Opposing Changes to Regulation of HMDA
February 11, 2001
Woodstock Institute's comments in response to the request for comments by the Board of Governors of the Federal Reserve System on proposed changes to Regulation C: Home Mortgage Disclosure Act data regulations.  The letter supports the proposed changes to require the collection of the annual percentage rate, HOEPA status, and manufactured home status.  Additionally, the letter suggests that additional fields should be adding including points and fees, the age of the applicant, and an indicator of credit history.
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