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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 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 Proposed Interagency Questions and Answers Regarding Community Reinvestment
January 06, 2006

Woodstock Institute has submitted comment letters to federal banking regulators regarding the Proposed Interagency Questions and Answers regarding Community Reinvestment.  

During the 2002-2005 regulatory review process, and again in this Q & A, Woodstock Institute has sought to clarify that any activity for which a bank receives CRA credit should directly impact low- and moderate-income people.  Under the current regulatory guidance, banks may receive CRA credit for investing in projects that benefit middle- and upper-income individuals if that project is located in a designated distressed or underserved middle-income non-metropolitan geography or disaster areas.  The letter also addresses the key concerns Woodstock Institute has raised during the past year regarding the evaluation of banks under the new intermediate small bank test, how innovative financial services are considered, and how innovative long-term investments should be considered if they extend beyond a single evaluation period.

Comment letter on proposed interagency statement on subprime lending
May 21, 2007
Suggests that the responsible underwriting guidelines and the disclosure of a mortgage's full cost proposed in the interagency statement be applied to all loans, not strictly subprime adjustable-rate loans.
Comment letter on the 2005-2008 proposed housing goals for Fannie Mae and Freddie Mac
June 29, 2004
Comment letter on the proposed housing goals for Fannie Mae and Freddie Mac covering years 2005 to 2008.  The letter suggests that stronger goals are necessary  in the areas of increasing homeownership among minorities, fighting predatory refinance lending, and improving access to financing for affordable multi-family rental housing.
Comment letter on the proposed amendments to the rule implementing the Illinois Predatory Lending Database Pilot Program (HB4050)
May 21, 2007
Suggests several methods for screening loans in such a way as to reduce the number of loans covered by the law and more effectively focus the act and the resources of couseling agencies on borrowers seeking higher cost loans with potentially risky features.
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