Learn More About Woodstock
HomeAbout UsFocus AreasResearchPolicyFact BookNewsroomCRA CoalitionBlog

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.

Files

DocumentsDate added

Order by : name | date | hits [ ascendent ]
Comment letter on proposed Department of Defense guidelines on small loan limits
February 06, 2007
Suggests the regulation implementing the small loan limits passed by the Department of Defense for service members and their dependants be applied all types of lenders, covers all types of loans not excluded by the law, and does place the burden on Service members to opt into protections.
Comment letter on National City Bank's OCC request to preempt Georgia Fair Lending Act.
March 24, 2003
Woodstock Institute comments to the Office of the Comptroller of the Currency on National City’s request to the OCC to pre-empt the Georgia Fair Lending Act.  National City claims that the National Bank Act authorizes the OCC to occupy the field of real estate lending regulation thus suggesting that all the provisions of GFLA are preempted.
Comment letter on Bank of America’s proposed 2003 acquisition of FleetBoston Corporation
December 11, 2003
Comment letter on Bank of America’s proposed 2003 acquisition of Fleet.  Woodstock Institute requests that the Federal Reserve Bank of Richmond and the Federal Reserve Board hold multiple public hearings on Bank of America’s acquisition of Fleet.
Comment letter in support of FDIC proposed rule permitting banks to offer financial services as part of a financial literacy curriculum
July 10, 2008
Comment letter in support of the FDIC’s Interim Final Rule to permit state non-member banks to participate or assist in financial education programs conducted on school premises, including the receipt of deposits, payment of checks, or lending of money.
Comment letter in response to 2002 interagency ANPR on changes to the Community Reinvestment Act
October 09, 2001
Comments in response to the 2002 interagency Advanced Notice of Proposed Rulemaking on the Community Reinvestment Act.  Woodstock Institute comments support the current regulations and primarily address Section 1 on large retail institutions, Section 2 on small banks, and Section 3, addressing the CRA examination of wholesale banks under the community development test.  Comments on the activities of affiliates, the strategic plan option, community contacts procedure, the definition of assessment areas, and the collection and distribution of public data files are also included.
<< Start < Prev 1 2 3 4 5 6 7 8 9 Next > End >>
Results 36 - 40 of 41
29 E. Madison, Suite 1710 | Chicago, Illinois 60602-4566 | (312) 368-0310 tel | (312) 368-0316 fax
| Career Opportunities | Links | Site Requirements | Privacy | Browse All Documents | Site Map |