Skip to main content
  • Comment Detail

  • Date: 12/05/14
    First Name: Fred
    Last Name: McDonald
    Organization: McDonald Construction, Inc.
    City: N/A
    State: N/A
    Attachment: View Attachment
    Number: RIN-2590-AA39
  • Comment

    please see attached document
    McDonald Construction, Inc.
    212 Sunset View Drive
    Bridgeport, WV 26330
    304-842-2989

    Alfred M. Pollard, General Counsel
    Attention: Comments/RIN 2590-AA39
    Federal Housing Finance Agency
    400 Seventh Street SW, Eighth Floor
    Washington, D.C. 20024

    Re: Notice of Proposed Rulemaking and Request
    For Comments - Members of Federal Home
    Loan Banks (RIN 2590-AA39)

    Mr. Pollard:

    As a home builder in Bridgeport, WV, I wanted to share my belief that this proposed membership rule will hurt the building industry and negatively affect home ownership opportunities. Small banks are the community lenders to home builders and make many of the acquisition, development and construction loans so critical to our industry. In order to make these loans, community banks must be assured of access to funding, whether through deposits or loans from the FHL Bank.

    Home construction and rehabilitation is critical to thriving local economies. The proposed regulation will create uncertainty for small banks about their continuing ability to remain FHL Bank members and rely on funding from their FHL Bank. FHL Bank funding supports their ADC loans and mortgage loans. If small banks are not able to count on the availability of FHL Bank funding to support their ADC and other loans in all business cycles, then, they are likely to reduce their lending to homebuilders. This, in turn will make it harder for our communities to have access to sufficient credit to grow and will impede home construction that is still fragile and only beginning to rebound. Fundamentally changing a FHL Bank system that already works for small banks has the potential to hurt home building.

    Builders are very familiar with the critical role in promoting housing finance fulfilled by the FHL Bank Pittsburgh. Therefore, I strongly urge FHFA to withdraw RIN 2590-AA39. Please reconsider the negative effect this type of proposal could have on the housing industry and the communities served by existing an prospective FHL Bank members.

    Sincerely,

    Fred McDonald
    McDonald Construction, Inc.
    212 Sunset View Drive
    Bridgeport, WV 26330