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June 2, 2006
Honorable John C. Dugan
Comptroller of the Currency
250 E Street, S.W.
Washington, D.C. 22019
Honorable Martin J. Gruenberg
Acting Chairman
Federal Deposit Insurance Corporation
550 17th Street, N.W.
Washington, D.C. 20429
Honorable John M. Reich
Director
Office of Thrift Supervision
1700 G Street, N.W.
Washington, D.C. 20552
Dear Sirs:
We are writing to ask you to clarify your agencies’ understanding of the
authority that would be granted under provisions of the pending financial
services regulatory relief bills entitled “Enhancing the Safety and Soundness of
Insured Depository Institutions” (Section 405 of H.R. 3505 and Section 702 of S.
2856). We are requesting this clarification because of recent analyses of these
provisions in the American Banker. These analyses suggest that the provisions
would give the banking regulators authority to require a bank director to
maintain the capital of a troubled depository institution without the director’s
agreement. The articles also suggest that the federal chartering agencies and
FDIC could use the provision to require the directors of an insured depository
institution to enter into capital maintenance agreements with the agencies as a
condition of granting a charter or providing deposit insurance.
While we believe it is important that banking agencies are able to enforce
agreements that protect the deposit insurance fund, we also believe that our
national banking policies should encourage the participation of highly qualified
people on the boards of insured depository institutions. That is why we are very
concerned about requirements that could potentially reduce the participation of
qualified men and women on the boards of depository institutions.
Thank you for considering our views. We look forward to your reply.
Sincerely,
Robert R. Davis
Executive Vice President and
Managing Director, Government Relations
America’s Community Bankers |
Wayne A. Abernathy
Executive Director, Financial
Institutions Policy and Regulatory Affairs
American Bankers Association |
Karen M. Thomas
Executive Vice President
Director, Govt. Relations Group
Independent Community Bankers of America |
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