|Joint Letter on Supervisory Appeals Guidelines||FDIC||11/22/22|
|Joint Letter on FDIC Appeals||FDIC||06/22/22|
|Comments on Principles for Climate-Related Financial Risks||02/16/22|
|ICBA's Comment Letter Regarding Climate-Related Risk Management||OCC||02/15/22|
|Letter on Off-Site Exams During Pandemic||FDIC||10/12/21|
|Comment Letter on Real Estate Lending Standards||FDIC||07/26/21|
|CDFI Fund Comment Letter||CDFI Fund||11/05/20|
|FDIC Appeal Process Letter - Oct 20||FDCI||10/19/20|
|Comment Letter on RFI Concerning CAMELS Ratings||Fed, FDIC||02/27/20|
Oct. 15, 2021
ICBA encouraged the FDIC to adopt a hybrid examination model that uses on-site and off-site exam activity as it explores the future of post-pandemic oversight.
Comment Letter: ICBA said the FDIC should perform certain exam activities off-site to promote efficiencies, but some on-site activities should resume because of the importance of face-to-face interaction with examiners, particularly for rural community bankers.