{"id":32590,"date":"2008-03-26T16:35:41","date_gmt":"2008-03-26T21:35:41","guid":{"rendered":"https:\/\/content.findlaw-admin.com\/ability-legal\/uncategorized\/national-credit-union-administration-opinion-letter.html"},"modified":"2008-03-26T16:35:41","modified_gmt":"2008-03-26T21:35:41","slug":"national-credit-union-administration-opinion-letter","status":"publish","type":"corporate","link":"https:\/\/corporate.findlaw.com\/finance\/national-credit-union-administration-opinion-letter.html","title":{"rendered":"National Credit Union Administration Opinion Letter"},"content":{"rendered":"<section class=\"fl-gutenberg-byline\">\n    <div class=\"fl-gutenberg-byline-content\">\n                    <p><em>This article was edited and reviewed by <a href=\"https:\/\/www.findlaw.com\/company\/our-team.html\" rel=\"noopener\">FindLaw Attorney Writers<\/a><\/em><\/p>\n\n                | Last reviewed\n        <time>\n                            May 11, 2026\n                    <\/time>\n    <\/div>\n\n    \n    <details class=\"fl-gutenberg-byline-toggle fl-gutenberg-byline-legally-reviewed\">\n        <summary>\n            <i class=\"fl-gutenberg-byline-icon\" aria-hidden=\"true\"><\/i>\n            Legally Reviewed\n        <\/summary>\n\n        <div class=\"fl-gutenberg-byline-toggle-content\">\n            <p><em>This article has been written and reviewed for legal accuracy, clarity, and style by <a href=\"https:\/\/www.findlaw.com\/company\/our-team.html\" rel=\"noopener\">FindLaw\u2019s team of legal writers and attorneys<\/a> and in accordance with <a href=\"https:\/\/www.findlaw.com\/company\/company-history\/editorial-policy.html\" rel=\"noopener\">our editorial standards<\/a>.<\/em><\/p>\n\n        <\/div>\n    <\/details>\n\n    <details class=\"fl-gutenberg-byline-toggle fl-gutenberg-byline-fast-checked\">\n        <summary>\n            <i class=\"fl-gutenberg-byline-icon\" aria-hidden=\"true\"><\/i>\n            Fact-Checked\n        <\/summary>\n\n        <div class=\"fl-gutenberg-byline-toggle-content\">\n            <p><em>The last updated date refers to the last time this article was reviewed by FindLaw or one of our <a href=\"https:\/\/www.findlaw.com\/company\/our-team\/contributing-authors.html\" rel=\"noopener\">contributing authors<\/a>. We make every effort to keep our articles updated. For information regarding a specific legal issue affecting you, please <a href=\"https:\/\/lawyers.findlaw.com\/?fli=bylinelink\" rel=\"noopener\">contact an attorney in your area<\/a>.<\/em><\/p>\n\n        <\/div>\n    <\/details>\n<\/section>\n\n\n\n<div class=\"rxbodyfield\" xmlns:o=\"urn:www.microsoft.com\/office\" xmlns:st1=\"urn:www.microsoft.com\/smarttags\" xmlns:w=\"urn:www.microsoft.com\/word\" xmlns:x=\"urn:www.microsoft.com\/excel\"><p><font face=\"Arial\">Erik M. Shaw, VP of Lending<\/font><br\/> <font face=\"Arial\">Texaco PAW Employees FCU<\/font><br\/> <font face=\"Arial\">4401 Highway 73<\/font><br\/> <font face=\"Arial\">P.O. Box 3903<\/font><br\/> <font face=\"Arial\">Port Arthur, Texas 77643-3903<br\/><\/font><\/p><center><font face=\"Arial\">Re: Lending to a Church, Your letter dated November 2, 1998.<br\/><\/font><\/center><p><font face=\"Arial\">Dear Mr. Shaw:<br\/><\/font><\/p><p><font face=\"Arial\">You ask whether a federal credit union (FCU) can make a loan to a church, and if so, whether the loan has to be fully secured by the church&#39;s shareholdings in the FCU. Lending to a church is permissible if the church is a member of the FCU. A loan to a church is considered a business loan and must meet the requirements set forth in &#194;&#167;701.21(h) of NCUA&#39;s regulations. Further, an FCU may make a loan to a church in excess of the church&#39;s shareholdings if the FCU has adopted a standard bylaw amendment that provides for such loans.<br\/><\/font><\/p><p><font face=\"Arial\">An FCU can offer loans only to its members. Membership is open to natural and nonnatural persons within an FCU&#39;s field of membership (FOM). A church is eligible for membership as a primary member if it is specifically named in an FCU&#39;s FOM, or, as a secondary member if the FCU includes &quot;organizations of such persons&quot; within its FOM. Chapter 1, Section II.E, NCUA Chartering and Field of Membership Manual (IRPS 94-1, as amended by IRPS 96-1 and 98-1). &quot;Organizations of such persons&quot; means an organization or organizations composed exclusively of persons who are within an FCU&#39;s FOM. Article XVIII, &#194;&#167;2(b), NCUA Bylaws.<br\/><\/font><\/p><p><font face=\"Arial\">Texaco P.A.W. Employees FCU&#39;s charter states that its FOM includes the members and employees of Val Verde Baptist Church (VVBC), the church seeking a loan. However, the church itself is not named in FCU&#39;s charter. In order for VVBC to be eligible for membership as a primary member, the Texaco P.A.W. Employees FCU would have to petition NCUA to have the church added to its FOM, as the sponsor of an associational group within the FOM. Chapter 1, Section II.B.1, NCUA Chartering and Field of Membership Manual (IRPS 94-1, as amended by IRPS 96-1 and 98-1). However, in this particular situation, the VVBC also would qualify for secondary membership in the FCU as an &quot;organization of such person.&quot; Thus, as an organization composed exclusively of persons who are within the FCU&#39;s FOM, the Texaco P.A.W. Employees FCU would not need to petition NCUA to have the VVBC included within its FOM for the church to be eligible for membership.<br\/><\/font><\/p><p><font face=\"Arial\">Erik M. Shaw, VP of Lending<br\/><\/font><\/p><p><font face=\"Arial\">Page Two<br\/><br\/><\/font><\/p><p><font face=\"Arial\">As with any potential member, VVBC must complete a membership application, purchase or pay the initial installment on one share of stock, and pay any applicable entrance fee. 12 U.S.C &#194;&#167;1759.<br\/><\/font><\/p><p><font face=\"Arial\">VVBC would be a nonnatural member and any loan to the church would be a business loan subject to the member business loan requirements. 12 C.F.R. &#194;&#167;701.21(h). The NCUA Bylaws state that an FCU cannot make a loan to a nonnatural member in excess of that member&#39;s shareholdings. Article XII, &#194;&#167;1, NCUA Bylaws. However, there is a standard bylaw amendment to Article XII, &#194;&#167;1, that if adopted by Texaco P.A.W. Employees FCU, permits loans to other than natural persons in excess of their shareholdings if the loans are guaranteed. Specifically, the standard bylaw amendment provides:<br\/><\/font><\/p><p><font face=\"Arial\">Loans to individuals shall be made only to members, and shall be made for provident or productive purposes in accordance with applicable law and regulations. Loans to a member other than a natural person shall not be in excess of its shareholdings in this credit union, <u>unless<\/u> the loan is made jointly to one or more natural person members and a business organization in which they have majority interest, or if the nonnatural person is an association, the loan is made jointly to a majority of the members of the association and to the association in its own right.<br\/><\/font><\/p><p><font face=\"Arial\">In addition, there is an exemption in the member business loan regulation that waives the guarantee requirement for not-for-profit organizations as defined in &#194;&#167;501 of the Internal Revenue Service Code, 26 U.S.C. 501. 12 C.F.R. &#194;&#167;701.21(h)(2)(ii)(B). Thus, Texaco P.A.W. Employees FCU would not have to obtain guarantees for loans made to VVBC in excess of the church&#39;s shareholdings.<br\/><\/font><\/p><p><font face=\"Arial\">Sincerely,<br\/><br\/><br\/><\/font><\/p><p><font face=\"Arial\">Sheila A. Albin<\/font><br\/> <font face=\"Arial\">Associate General Counsel<br\/><br\/><\/font><\/p><p><font face=\"Arial\">GC\/NSW:bhs<\/font><br\/> <font face=\"Arial\">SSIC 3000<\/font><br\/> <font face=\"Arial\">98-1107<br\/><\/font><\/p><\/div>","protected":false},"excerpt":{"rendered":"<p>Erik M. Shaw, VP of Lending Texaco PAW Employees FCU 4401 Highway 73 P.O. Box 3903 Port Arthur, Texas 77643-3903 Re: Lending to a Church, Your letter dated November 2, 1998.Dear Mr. Shaw: You ask whether a federal credit union (FCU) can make a loan &#8230;<\/p>\n","protected":false},"template":"","meta":{"_acf_changed":false,"_stopmodifiedupdate":true,"_modified_date":"","_cloudinary_featured_overwrite":false},"corporate_categories":[6479,6482],"class_list":["post-32590","corporate","type-corporate","status-publish","hentry","corporate_categories-finance","corporate_categories-finance__other-finance"],"acf":[],"_links":{"self":[{"href":"https:\/\/corporate.findlaw.com\/legal-api\/wp-json\/wp\/v2\/corporate\/32590","targetHints":{"allow":["GET"]}}],"collection":[{"href":"https:\/\/corporate.findlaw.com\/legal-api\/wp-json\/wp\/v2\/corporate"}],"about":[{"href":"https:\/\/corporate.findlaw.com\/legal-api\/wp-json\/wp\/v2\/types\/corporate"}],"wp:attachment":[{"href":"https:\/\/corporate.findlaw.com\/legal-api\/wp-json\/wp\/v2\/media?parent=32590"}],"wp:term":[{"taxonomy":"corporate_categories","embeddable":true,"href":"https:\/\/corporate.findlaw.com\/legal-api\/wp-json\/wp\/v2\/corporate_categories?post=32590"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}