DEPARTMENT OF THE TREASURY
Community Development Financial Institutions Fund
NOTICE: NOTICES
ACTION: Request for Public Comments; Community Development Financial Institutions Program:
SUBJECT CATEGORY: Request for Public Comments, Community Development Financial Institutions Program
DATES: Written comments should be received on or before March 5, 2008
to be assured of consideration.
DOCUMENT SUMMARY: This document invites comments from the public on certain
issues regarding, for purposes of the Community Development Financial
Institutions (CDFI) Program, the CDFI Fund's certification of entities
as CDFIs, pursuant to the CDFI Program regulations set forth at 12 CFR
1805.201. All materials submitted will be available for public
inspection and copying.
SUMMARY: Community Development Financial Institutions (CDFI) Program,
SUPPLEMENTAL INFORMATION
The Community Development Banking and
Financial Institutions Act of 1994 (12 U.S.C. 4701 et seq.) authorizes
the CDFI Fund to select and provide financial assistance and technical
assistance to eligible applicants through the CDFI Program. Pursuant to
12 U.S.C. 4702(5)(a) and in accordance with regulations set forth at 12
CFR 1805.201, the CDFI Fund certifies eligible entities as CDFIs. The
capitalized terms found in this notice are defined in the CDFI Program
regulations found at 12 CFR part 1805. Through this notice, the CDFI
Fund is seeking comments from the public regarding the CDFI Fund's
certification of organizations as CDFIs. Commentators are encouraged to consider, at a minimum, the following issues:
(1) Primary Mission Criteria: To be certified as a CDFI, the entity
must have a primary mission of community development (12 CFR 1805.201(b)(1)).
(a) Should the primary mission criteria differ by organization type? If so, how?
(b)(i) Should the CDFI Fund consider the types of Financial
Products offered by an entity as relevant to the primary mission
criteria? Specifically, should the CDFI Fund review, as part of the
certification process, evidence of the affordability of an entity's Financial Products to the intended customers?
(ii) How else might the CDFI Fund ensure that CDFI certification is
not given to entities that engage in what are commonly called
``predatory lending practices'' or include socalled ``predatory lending terms'' in their lending products?
(iii) Should the CDFI Fund require entities to provide Financial
Products at a cost that is at least comparable to market rates or at
some minimum level of affordability to their Target Markets in order to
satisfy the primary mission criteria? If yes, how should market rates or minimum levels of affordability be determined?
(2) Financing Entity Criteria: To be certified as a CDFI, an
entity's predominant business activity must be the provision, in arms
length transactions, of Financial Products, Development Services, and/ or other similar financing (12 CFR 1805.201(b)(2)).
(a)(i) What minimum level of financing activity (i.e., number of
transactions, dollar amount of transactions, years of operation, and/or
financing) should the CDFI Fund consider to be acceptable to determine that an entity is a financing entity?
(ii) How might this minimum level differ among organization types?
(b)(i) Is three (3) months worth of financing capital a reasonable
measure of an entity's ability to sustain its financing activities? Should the period of time be longer or shorter?
(ii) What other measure(s) should the CDFI Fund use to determine that an entity can sustain its financing activities?
(c) The CDFI Fund's definition of Financial Products includes
Loans, Equity Investments, and similar financing activities (as
determined by the CDFI Fund) including the purchase of loans originated
by certified CDFIs and the provision of loan guarantees. Should the
CDFI Fund expand this definition? If so, what other products should be included?
(3) Target Market Criteria: In order to be certified as a CDFI, an
entity must serve a Target Market consisting of one or more Investment Areas and/or Targeted Populations (12 CFR 1805.201(b)(3)).
(a) Are the CDFI Fund's Target Market options (Investment Area, Low
Income Target Population, and Other Targeted Population) clear? If not, how can the
[[Page 6559]]
CDFI Fund make the options more clear?
(b) Should a certification applicant be required to demonstrate a
track record of serving the requested Target Market? If so, what is an
appropriate minimum timeframe to establish such a track record? Please provide reasons to support your response.
(c) Should the CDFI Fund allow different types of organizations to
meet the Target Market requirement at different benchmarks (i.e.,
percentage of activities directed toward the Target Market could
deviate from the required 60 percent level for certain types of
organizations)? If so, what level of activity would be acceptable for specific organization types?
(c) Should certification applicants be required to have a physical
presence in their Target Markets (i.e., a branch, an office, local
partners)? If so, what is an acceptable minimum level of presence?
(4) Accountability Criteria: To be certified as a CDFI, an entity
must maintain accountability to residents of its Target Market through
representation on its governing board or otherwise (12 CFR 1805.201(b)(5)).
(a) (i) How many governing and/or advisory board members
representing a Target Market should the CDFI Fund require to determine that an entity is accountable to its Target Market?
(ii) How should the geographic size, population density of the
Target Market, and/or board type (governing vs. advisory) factor into
the number of representative board members necessary to demonstrate accountability to a Target Market?
(b) Should the CDFI Fund expand or restrict the ways that board
members can be deemed to be representative of a Target Market?
(c) (i) Should the CDFI Fund continue to allow certification
applicants to demonstrate accountability to Target Markets through ``other mechanisms'' (i.e. annual meetings, surveys)?
(ii) If so, what additional types of mechanisms should be considered to demonstrate accountability?
(5) Development Services Criteria: To be certified as a CDFI, an
entity must provide Development Services in conjunction with its
Financial Products, either directly or through an Affiliate, or through contract with another provider (12 CFR 1805.201(b)(4)).
(a) What minimum level of Development Services should be expected
of a CDFI (i.e. is oneonone counseling enough or should training be more formal/standardized?)?
(b) Should the CDFI Fund require an entity to provide Development
Services that are linked to each Financial Product that it offers?
(c) Should Development Services include broad efforts to increase
financial education and literacy within an entity's Target Market?
(6) NonGovernmental Entity Criteria: To be certified as a CDFI, an
entity cannot be an agency or instrumentality of the United States, or
any State or political subdivision thereof. An entity that is created
by, or that receives substantial assistance from, one or more
government entities may be a CDFI provided it is not controlled by such
entities and maintains independent decisionmaking power over its activities (12 CFR 1805.201(b)(6)).
(a) What minimal levels of government support for an entity's
operations (e.g., funding and capitalization) or government involvement
in an entity's lending or investment decisions (e.g., underwriting
criteria or loan approval) should be considered acceptable for certification?
(b) Should governmental ``operations support'' and government
``involvement in lending and investment decisions'' be considered
separately or should evidence of both be required in order to deem an
entity as having failed to satisfy the nongovernmental entity criteria?
(7) CDFI Certification Application Process:
(a) Should an electronic, webbased CDFI certification application
process be implemented and, if so, should paper applications continue to be accepted?
(b) (i) Should CDFI certification status extend for a fixed period
of time before it expires? If so, is three (3) years an appropriate duration?
(ii) Should CDFI certification be continued indefinitely if the
certified CDFI does not request an award from the CDFI Fund?
(iii) Is there any policy justification to designate different
certification periods for different types of organizations? If so, how
long should certification periods be for specific types of organizations?
(c) What should be the primary components of a recertification process?
(8) General: What other changes could the CDFI Fund make to improve
the CDFI certification process that has not been addressed in the preceding questions?
Authority: 12 U.S.C. 4703, 4703 note, 4704, 4706, 4707, 4717; 12 CFR part 1805.
Dated: January 28, 2008.
Donna J. Gambrell,
Director, Community Development Financial Institutions Fund. [FR Doc. E82008 Filed 2108; 8:45 am]
BILLING CODE 481070P
FOR FURTHER INFORMATION CONTACT Information regarding the CDFI Fund
and its programs may be downloaded from the CDFI Fund's Web site at
http://www.cdfifund.gov.