CUNA Regulatory Comment Call


December 4, 2002

Proposed Revision of the Definition of Small Credit Union For Purposes of the Regulatory Flexibility Act

EXECUTIVE SUMMARY

QUESTIONS REGARDING THE PROPOSED IRPS

  1. Do you support increasing the threshold for the definition of small credit union to mean a credit union with less than $10 million in assets?

    Yes ______ No ______

    Please explain why or why not.













  2. Are there other contexts in which you believe the definition of small credit union should be changed?

    Yes ______ No ______

    If so, what are those contexts?













  3. Do you support the proposed provision for NCUA to provide notice of the portion of the existing agency rules under review every year so the public may have an opportunity to comment?

    Yes ______ No ______

    Please explain.













  4. Do you have any additional suggestions with regard to NCUA’s rolling review to identify one-third of existing agency regulations for review each year?

    Yes ______ No ______

    If so, what are those suggestions?













  5. Other comments?













Eric Richard • General Counsel • (202) 508-6742 • erichard@cuna.com
Mary Mitchell Dunn • SVP & Associate General Counsel • (202) 508-6736 • mdunn@cuna.com
Jeffrey Bloch • Assistant General Counsel • (202) 508-6732 • jbloch@cuna.com
Catherine Orr • Senior Regulatory Counsel • (202) 508-6743 • corr@cuna.com