Finding the New Reg Z & Reg X Requirements in the Electronic Code of Federal Regulations
Written by Steve Van Beek
A couple weeks back, we looked at finding the new homeownership counseling disclosure requirements in the Electronic Code of Federal Regulations (e-CFR).  Now that all the final rules have been published, I thought it would be good to link to all the new and amended regulatory texts so that you have a central location for finding the future regulatory language.Â
Note:  Below are links to the major changes - but there are tons of other little changes and tweaks to other sections of Regulation Z and Regulation X.  Additionally, some of the link names have the same citations but they go to a different regulatory text.  For example, there are numerous links to "Appendix I" but they all go to different staff commentary.  Â
Regulation Z (Truth in Lending Act) - 12 CFR 1026
- New Interest-Rate Adjustment Notices - 12 CFR 1026.20
- New Points & Fees Test - Closed-end Credit - 12 CFR 1026.32
- New High-Cost APR Thresholds & Expansion of High-Cost to Open-end Credit - 12 CFR 1026.32
- New Prohibitions & Requirements for High-Cost Mortgages - 12 CFR 1026.34
- Changes to Escrow Requirement for Higher-Priced Mortgage Loans - 12 CFR 1026.35
- New Appraisal Requirements for Higher-Priced Mortgage Loans - 12 CFR 1026.35
- New Negative Amortization Counseling Requirement - 12 CFR 1026.36(k)
- Changes to Prompt Payment Crediting & Payoff Statements - 12 CFR 1026.36(c)
- New Mortgage Loan Originator Compensation, Qualifications, Training, Disclosures & More - 12 CFR 1026.36
- Periodic Statements for Mortgage Loans - 12 CFR 1026.41
- Ability-to-Repay Requirements & Qualified Mortgage Standards - 12 CFR 1026.43
Appendices to Regulation Z
- New Model Forms for Adjustable-Rate Mortgages and Periodic Statements - Appendix H
- Higher-Priced Mortgage Loan Appraisal Safe Harbor Review - Appendix N
- Illustrative Written Source Documents for HPML Appraisal Rules - Appendix O
- Standards for Determining Monthly Debt and Income - Appendix Q
Official Staff Commentary to Regulation Z - Appendix I
- New Staff Commentary for Points & Fees Test; Ability-to-Repay Requirements & Qualified Mortgage Standards - Appendix I
- New Staff Commentary for High-Cost Mortgages; Negative Amortization Counseling Requirement - Appendix I
- New Staff Commentary for Appraisals on Higher-Priced Mortgage Loans - Appendix I
- New Staff Commentary for ARM notices; Payment Crediting & Payoff Statements; and Periodic Statements - Appendix I
- New Staff Commentary for Mortgage Loan Originator Requirements (all of them) - Appendix I
Regulation X (Real Estate Settlements Procedures Act) - 12 CFR 1024
- Changes to Escrow Accounts - 12 CFR 1024.17
- New Homeownership Counseling Disclosure - 12 CFR 1024.20
New Subpart C to 12 CFR 1024
The CFPB reorganized Regulation X - including a new Subpart C with Mortgage Servicing Requirements. Â Sections 1024.30 through 1024.41 can all be found at this link. Â Below are the new sections under Subpart C:
Subpart CâÂÂMortgage Servicing
1024.30Â Â Â Scope.
1024.31Â Â Â Definitions.
1024.32Â Â Â General disclosure requirements.
1024.33Â Â Â Mortgage servicing transfers.
1024.34Â Â Â Timely escrow payments and treatment of escrow account balances.
1024.35Â Â Â Error resolution procedures.
1024.36Â Â Â Requests for information.
1024.37Â Â Â Force-placed insurance.
1024.38Â Â Â General servicing policies, procedures, and requirements.
1024.39Â Â Â Early intervention requirements for certain borrowers.
1024.40Â Â Â Continuity of contact.
1024.41Â Â Â Loss mitigation procedures.
The language of those new sections is available here.
Appendices to Regulation X
- New Model Language for Force-placed Insurance Notices - Appendix MS-3
- New Model Language for Early Intervention; Loss Mitigation; and Housing Counselor Notices - Appendix MS-4
- Official Bureau Interpretations to Reg X - Supplement I (link goes to Federal Register)
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Wow - that is a lot of links and a long blog post. Â I know I've been running down some rabbit holes in my research and I'm sure some blog readers have as well. Â Hopefully this blog post helps organize the confusion. Â A bit. Â Have a great weekend!