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DCUC raises concerns in letter to NCUA, comments on CRA

WASHINGTON, D.C. (October 15, 2024) — Today, the Defense Credit Union Council, DCUC, sent a letter to  the National Credit Union Administration, NCUA, Chairman Todd Harper, expressing its  concerns over the potential application of Community Reinvestment Act (CRA) provisions to  credit unions.

The letter was prompted by recent social media comments made by Chairman Harper indicating  his openness to exploring CRA applicability to credit unions. DCUC strongly believes applying  CRA to credit unions is both unnecessary and inappropriate, given the unique structure and  mission of credit unions. 

“It would be a public policy failure to universalize the recent “redlining” violation of one particular  credit union and apply remedies for that misdeed into a regulatory burden that is wholly  inappropriate for the member-owned cooperative credit union industry,” stated Jason Stverak, DCUC Chief Advocacy Officer. “Additionally, the fact that the “redlining” finding by the  Department of Justice was uncovered without CRA being applicable to credit unions strongly  suggests that this remedy would not address whatever problem you assert should lead to CRA  for part or all of the credit union movement.” 

DCUC highlighted that the existing regulatory framework already holds credit unions  accountable for discriminatory practices and emphasized that imposing CRA would add  redundant and costly regulatory burdens to credit unions. 

“Since the CRA was enacted to address the issue of discriminatory lending practices (i.e.,  “redlining”) by for-profit, shareholder-driven banks, why punish all credit unions? Credit unions,  by definition, do not engage in the practices that CRA was designed to combat,” added Stverak. “The fundamental difference in structure and purpose between banks and credit unions makes 

CRA an ill-fitting regulatory framework on the latter. Plus, credit unions are already held  accountable to their members, ensuring that their activities benefit the communities they serve.” 

The letter further underscores the exemplary track record of credit unions, particularly defense  credit unions, in providing affordable financial services to underserved populations, including  military communities.  

“By offering low-cost loans, financial literacy programs, and savings products, credit unions fulfill  their mission of promoting financial inclusion and security. Applying CRA to credit unions would  punish them for problems that don’t exist within their cooperative model.” 

DCUC urges the NCUA to continue its long-standing opposition to applying CRA to credit  unions, citing the current extensive regulatory oversight credit unions are already subject to.  Stverak requested a meeting with Chairman Harper, Vice Chairman Kyle Hauptman, and Board  Member Tanya Otsuka to discuss the issue further and explore constructive solutions to  enhance member access and services. 

“We look forward to working with Chairman Harper and the NCUA to protect and strengthen the  role credit unions play in serving military and defense communities,” said Anthony Hernandez,  DCUC President/CEO. 

For more information on DCUC’s advocacy, please visit dcuc.org/advocacy and contact Jason  Stverak, DCUC Chief Advocacy Officer at jstverak@dcuc.org.


About Defense Credit Union Council (DCUC)

The Defense Credit Union Council is the trusted resource for credit unions on all military and  veteran matters. By maintaining a close and constant liaison with the Pentagon, Capitol Hill, and  NCUA, the Council champions the interests of credit unions serving our military and veteran  communities by coordinating policy, procedures, and legislation impacting morale and welfare,  financial readiness, and the delivery of quality financial products and services. Organized in  1963, the Council’s membership is comprised of more than 180 credit unions with over 37 million members. If you would like more information about this topic, please contact DCUC at  hlaverty@dcuc.org.

Contacts

Haleigh Laverty
Cell 336-269-3930
Email hlaverty@dcuc.org
Website www.dcuc.org

 

 

 

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