CFPB Field Hearing - Atlanta; Mortgage Servicing Final Rule; Appraisals for Higher-Risk Mortgages Final; NAFCU Final Regulation on Qualified Mortgages
Written by Steve Van Beek
CFPB Field Hearing. Â Today, we should get a look at the CFPB's next final rules for the mortgage market. Â We are expecting the final rules for mortgage servicing (both Reg Z and Reg X), mortgage loan originator compensation (and much more), and possibly the Reg B final rule for appraisal disclosures. Â
***Updated at 8:00 a.m.***
Mortgage Servicing Final Rule. Â As expected, the mortgage servicing rules will be the main focal point of the CFPB's field hearing today. Â The rules should be online later today (when it is, it will be posted here). Â
As of 8:15 a.m., there is a short summary and a fact sheet. Â
***At 9:30 a.m., the CFPB posted their press release, Director Cordray's speech and a webpage with the final rules (the Reg X/REPSA rule is 753 pages and the Reg Z/TILA rule is 426 pages).***Â
Effective Date: Â The summary indicates January 10, 2014 as the effective date (in other words, the CFPB is providing less than 12 months for this rule). Â
Small Servicer Exemptions: Â I also noticed this paragraph in the fact sheet:
"SMALL SERVICER EXEMPTIONS
Recognizing that small servicers approach servicing quite differently, the CFPB has made certain exemptions to todayâÂÂs mortgage servicing rules. Servicers that service 5,000 mortgage loans or less and only service mortgage loans that they or an affiliate own or originated are exempt from some of the new rules. These exemptions include many of the procedural rules, including most of the requirements regarding the handling of loss mitigation applications."
We'll have additional details on exactly which mortgages are included in this 5000 in a future blog post. Â For now, check how many mortgages you currently service and you'll get a good initial look at how onerous the mortgage servicing rules will be for your CU. Â
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Appraisals for Higher-Risk Mortgages. Â On Tuesday, the FDIC posted an approved version of the joint final rule on appraisals for higher-risk mortgages. Â There are additional details in the NAFCU Today. Â Both the CFPB and NCUA were joint on this rulemaking, so expect the CFPB to have additional details on this final rule in the near future (most likely a press release and short summary - and, hopefully, a Fact Sheet for compliance officers). Â
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NAFCU Final Regulation on Qualified Mortgages. Â NAFCU's Regulatory Affairs team has finished their summary of the Qualified Mortgage/Ability-to-Repay final rule. Â NAFCU members can find it here (13-EF-01). Â
They are also working on summaries of the escrow final rule, HOEPA/high-cost final rule and the concurrent proposal for the qualified mortgage rule. Â When they are available, NAFCU members can find the Final Regulations here and the Regulatory Alert here. Â
Reminder: You can find information on the first three final rules in this blog post.  NAFCU also has a Mortgage Reform Webcast Series planned for 2013 and we'll also have a special Regulatory Update day - including sessions on the new moretgage regulations - on the Thursday of Regulatory Compliance School.  P.S. Register for School by January 31st using the promo code NEWYEAR to save $100. Â