TRID-Effect-CFPB
Mortgage Industry Trends

The TRID Effect

Mortgage applications fell drastically last week and some believe it is the direct result of the new TRID rules (Apps Decline). Could it be that lenders were able to push many applications to the prior week due to the fears created by the need to comply with new disclosure rules? Do lenders have such powers to make buyers move up…

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4000.1-Handbook-Transfers
Mortgage Compliance

Transferring FHA Appraisals & Case Numbers to other Lenders

What You Need to Know! In this highly competitive mortgage lending industry, there are times in which a lender will be asked to transfer an FHA appraisal and/or case number by one of their competitors. Maybe a prospective borrower has obtained a better interest rate/points with another lender OR maybe a Loan Officer has resigned his/her position with their current…

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Trid-Game-Changer
Mortgage Compliance

TRID: The Game Changer

Under TRID, lenders need to make sure they disclose their fees within 3 days of receipt of the loan application. For the lender’s fees and charges and those for which the borrower cannot shop there is a zero tolerance at the closing table. That means that the fees disclosed on the new Loan Estimate must be the same fee charged…

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Fannie-Mae-selling-guide-Announcement-SEL-2015-10
Mortgage Compliance

Fannie Mae – Expanding Home Buying Opportunities at Both Ends of the Spectrum!

Fannie Mae recently issued Selling Guide Announcement SEL-2015-10, dated September 29, 2015, which outlines some policy and programmatic changes for Lenders awareness. Fannie Mae’s Selling Guide has already been updated to include these changes which involve a product for lower-income Borrowers and favorable underwriting changes to high-balance loans.  The most notable changes are as follows: Introduction of the “HomeReady Mortgage”…

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CFPB-MSA
Mortgage Compliance

CFPB Offers Guidance On MSAs

Well, not really. The CFPB issued a long-awaited bulletin today (CFPB Bulletin 2015-05) labeled as their guidance on the use of Marketing Services Agreements (MSAs). The only real guidance that I could determine from reading the bulletin is not to be in an MSA arrangements. If you are, you do so at your own peril. The bulletin highlighted several enforcement…

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