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Members of Federal Home Loan Banks

Publication Details
Type
Proposed Rulemaking
Document Number
2014-21114
Federal Register Publish Date
09/12/2014
Comment Open Date
09/02/2014
Comment End Date
01/23/2015
Comment Status
Closed
Rulemaking Details
Rulemaking

Members of Federal Home Loan Banks

01/20/2016
Number
RIN-2590-AA39
Group
FHL Banks
CFR
12 CFR Part 1263
CFR Description
Members of the Banks
Effective Date

Members of Federal Home Loan Banks

Contact Information

FOR FURTHER INFORMATION CONTACT: Eric M. Raudenbush, Assistant General Counsel, Office of General Counsel, Eric.Raudenbush@fhfa.gov, (202) 649-3084; or Julie Paller, Senior Financial Analyst, Office of Program Support, Division of Bank Regulation, Julie.Paller@fhfa.gov, (202) 649-3201 (not toll-free numbers), Federal Housing Finance Agency, 400 Seventh Street, SW., Washington, DC 20024. If you are deaf, hard of hearing, or have a speech disability, please dial 7-1-1 to access telecommunications relay services. Additionally, the TDD 1-(800) number referenced in Rulemaking documents attached to this page is obsolete and the 7-1-1 number should be used.

Summary

SUMMARY: The Federal Housing Finance Agency (FHFA) is proposing to revise its regulations governing Federal Home Loan Bank (Bank) membership primarily to: (1) require each applicant and member institution to hold one percent of its assets in “home mortgage loans” in order to satisfy the statutory requirement that an institution make long-term home mortgage loans; (2) require each member to comply on an ongoing basis, rather than on a one-time basis as at present, with the foregoing requirement and, where applicable, with the requirement that it have at least 10 percent of its assets in “residential mortgage loans”; (3) define the term “insurance company” to exclude from Bank membership captive insurers, but permit existing captive members to remain members for five years with certain restrictions on their ability to obtain advances; (4) require a Bank to obtain and review an insurance company’s audited financial statements when considering it for membership; and (5) clarify the standards by which an insurance company’s “principal place of business” is to be identified in determining the appropriate Bank district for membership.

Public Comments people-icon

Below are a compilation of public comments made on this publication.

1335 items
Date Sort ascending First Name Last Name Organization Comment
John Howland The First Bank of Greenwich October 29, 2014 Alfred M. Pollard, General Counsel Attention: Comment…View Comment
Email: john@greenwichfirst.com
Attachment: N/A
Jeanine M. Morse University of Hawaii Federal Credit Union See attached letter.View Comment Email: N/A
Attachment: View Attachment
Jack Poulsen Ericson State Bank This proposed rule change would have a huge impact on the liquidity of…View Comment
Email: jpoulsen@ericsonstatebank.com
Attachment: N/A
David Summers Security State Bank See attached letter.View Comment Email: N/A
Attachment: View Attachment
K. H. "Ken" Niedan Hershey State Bank We utilize our membership in short term loans for liquidity purposes a…View Comment
Email: kniedan@hersheystatebank.com
Attachment: N/A
Stephen Reilly Northwest Community Bank Please see attached letter.View Comment Email: reilly@nwcommunitybank.com
Attachment: View Attachment
Girard Hoel The Miners National Bank of Eveleth Please See attached letterView Comment Email: jerry@mnbeveleth.com
Attachment: View Attachment
Charles Boulier III Ion Bank See attached letterView Comment Email: cboulier@ionbank.com
Attachment: View Attachment
Stephen Roy Tricorp Federal Credit Union I am submitting a comment letter with regard to RIN 2590-AA39.View Comment Email: steve@tricorp.org
Attachment: View Attachment
Laura Pierce Habitat for Humanity of West Virginia See attached letter.View Comment Email: N/A
Attachment: View Attachment
Rick Kunze State Bank of Table Rock 1. The proposed rule includes significant, unnecessary, and highly dam…View Comment
Email: rkunze@tablerockbank.com
Attachment: N/A
Gary J. Walter The Bank See attached letter.View Comment Email: N/A
Attachment: View Attachment
Mark Baron FIeldstone Credit Union I strongly urge the Federal Housing Finance Agency to NOT change the F…View Comment
Email: mbaron@fieldstonecu.com
Attachment: N/A
Chris Ilardi Allegheny Development Corp., Inc. Just want to be on record as opposed to the new requirements in the ab…View Comment
Email: chris@alleghenydevelopment.com
Attachment: N/A
Patrick Babinski Floodwood Area Credit Union Please reconsiderView Comment Email: pbabinski@floodwoodcu.com
Attachment: View Attachment
Tim Devitt Sanborn Savings Bank Please see attached letter.View Comment Email: tim@sanbornbank.com
Attachment: View Attachment
Bradford Barkley Bloomfield State Bank Please see attached comment letter.View Comment Email: N/A
Attachment: View Attachment
Robert May Banterra Bank I represent a $1.3 billion community bank that has been a member of th…View Comment
Email: Rjmay@banterra.com
Attachment: N/A
Thomas M. Petro Fox Chase Bank See attached letter.View Comment Email: N/A
Attachment: View Attachment
Donald Moore First Central Bank McCook 1. The proposed rule includes significant, unnecessary, and highly dam…View Comment
Email: don@firstcentral.com
Attachment: N/A
David Bohmer Bonanza Valley State Bank Alfred M. Pollard, General Counsel Attention: Comments/RIN 2590-AA39 F…View Comment
Email: dbohmer@tds.net
Attachment: N/A
Mark Wiebe River Valley Bank Please consider my attached comment letter.View Comment Email: mwiebe@rivervalleybank.com
Attachment: View Attachment
Charles A. Stones Kansas Bankers Association-2nd See attached letter.View Comment Email: N/A
Attachment: View Attachment
Craig Coffman Security State Bank Comments/RIN 2590–AA39 To Whom It May Concern: I am a bank officer of…View Comment
Email: craig.coffman@ssbindee.com
Attachment: N/A
Keith Thornburg Missouri Bankers Association The Missouri Bankers Association is opposed to the membership changes…View Comment
Email: kthornburg@mobankers.com
Attachment: View Attachment