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SMALL BANK Comptroller of the Currency Administrator of National Banks PUBLIC DISCLOSURE February 20, 2001, COMMUNITY REINVESTMENT ACT PERFORMANCE EVALUATION Crown Bank, National Association Charter
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Federal Deposit Insurance Corporation (FDIC) does not own or control the institutions evaluated in this report. To the extent that the financial condition of these institutions changes, subsequent events or trends could also be of significance in the evaluation of financial condition and the accompanying report. The institution examined at this location: Crown Bank New York Metropolitan-Suburban (CBR-U), as a result of a public inquiry by the Attorney General, is determined to be a “small bank” within the terms of the Community Reinvestment Act (CRA). The examination was based on four factors that are described below: The size, number of offices and branches, the presence of other institutions (such as thrift and discount banks and credit unions), total deposits and deposits eligible for special funding under CRA regulations, and other relevant data. It is important to remember that only small banks are eligible for CRA funds. A “small bank” is defined as one that had total assets of 3,000,000,000 or more at any time last year and 10,000,000,000 or more than of December 31 of last year. No other information was available to the Office of the Comptroller of the Currency (OCC) to determine the ownership or control of CBR-U. The Office of the Comptroller of the Currency determines the financial quality of “small banks” (with 250,000,000 and more in assets) based on three factors: the concentration of assets in a small geographic area; the size of the community that the bank serves; and the amount of investment and leverage and the maturity of such assets. As described above, an investigation was initiated by the Attorney General's Office into the financial condition of CBR-U. Based only on the information available in the public record at the time, the Comptroller of the Currency concluded that CBR-U was a “small bank” within the terms of the CRA. The OCC, upon receipt of the report, determined that, based on all the available information, “CBR-U is a member bank of the Community Reinvestment Act (CRA) and should be subject to certain provisions of the CRA….” Specifically, CBR-U was required to comply with certain provisions of the CRA (which includes the requirement for “good economy” banks as well as community banks), as described in subsection C of this report.

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23071pe01doc - occ is a form used for filing occupational tax.
Any individual or business engaged in an occupation subject to occupational tax is required to file 23071pe01doc - occ.
To fill out 23071pe01doc - occ, you need to provide the required information regarding your occupation and pay the applicable tax amount.
The purpose of 23071pe01doc - occ is to collect occupational tax from individuals or businesses engaged in taxable occupations.
On 23071pe01doc - occ, you must report information such as your name or business name, contact details, occupation details, and taxable amount.
The deadline to file 23071pe01doc - occ in 2023 is April 15th.
The penalty for the late filing of 23071pe01doc - occ is 5% of the unpaid tax amount per month, up to a maximum of 25%.
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