Upload
julie-gardner
View
221
Download
1
Tags:
Embed Size (px)
Citation preview
The Home Mortgage Disclosure ActMichael ByrneHome Mortgage Disclosure Act Operations LeadSeptember 23, 2014
These are the views of the presenters and not necessarily
those of the Consumer Financial Protection Bureau.
CFPB Mission and Vision
OUR MISSION
The CFPB is a 21st century agency that helps consumer finance markets work by making rules more effective, by consistently and fairly enforcing those rules, and by empowering consumers to take more control over their economic lives.
OUR VISION
If we achieve our mission, then we will have encouraged the development of a consumer finance marketplace where customers can see prices and risks up front and where they can easily make product comparisons; in which no one can build a business model around unfair, deceptive, or abusive practices; that works for American consumers, responsible providers, and the economy as a whole.
2
SBREFA Proposals Under Consideration
Newsroom, February 7, 2014
“CFPB Takes Steps to Improve Information About Access to Credit in the Mortgage Market”
Fact Sheet
Outline of Proposals Under Consideration
More Information about the SBREFA Process
http://www.consumerfinance.gov/regulations/#notices
Small Business Review Panel on HMDA
HMDA SBREFA Outreach Meeting 3/6/2014 3
HMDA is a disclosure law that relies upon public scrutiny for its effectiveness.
4
HMDA provides “sunlight” to the marketplace
5Draft, Sensitive and Pre-Decisional
Not for External Distribution
Statutory and Regulatory Purposes of HMDA Data
HMDA PurposesHMDA Purposes
• Provide the citizens and public officials of the U.S. sufficient information:
• to enable them to determine whether covered institutions are filling their obligations to serve the housing needs of the communities and neighborhoods in which they are located; and
• to assist public officials in distributing public sector investments in a manner designed to improve the private environment.
• Assist in identifying possible discriminatory lending patterns and enforcing antidiscrimination statutes.
Regulation C PurposesRegulation C Purposes
6
HMDA data enhances our understanding of the mortgage market.
Draft, Sensitive and Pre-DecisionalNot for External Distribution
What are some of the current strengths and limitations of HMDA data?
7
Strengths:
•Only comprehensive mortgage dataset with race/ethnicity and income
•Covers a majority of housing-related loans
•Clean data overall
Limitations:
•No performance data
•Difficult to match first and second loans
•No rural data
•Difficult to understand the channel - no mortgage broker flag
•Difficult to control for creditworthiness
•Difficult for the public to use the data that’s made available
•Released to the public with a 9- to 21-month lag, in year increments
Mortgage Data PanelOctober 6, 2011
Changes on the horizon
9
The Regulatory Flexibility Act, as amended by the Small Business Regulatory Enforcement Fairness Act (SBREFA) and the Dodd-Frank Act, requires the Bureau to convene a Small Business Review Panel before proposing a rule that would have a significant economic impact on a substantial number of small entities. The CFPB makes the SBREFA documents public.
The Bureau will issue a proposed rule to modify Regulation C, which implements the Home Mortgage Disclosure Act (HMDA).
The Bureau will consider and address public comments and issue a final rule.
Industry will build, buy or refine data collection systems to comply with the final rule.
10
Current Regulation C Reporting Dodd-Frank additions
Application/ Loan
Information
• Application/loan ID number• Date the application was received• Type of loan or application• Purpose of loan or application• Request for preapproval and result of
preapproval request• Application/loan amount• Action taken type• Date of action taken• Type of purchaser of loan• Rate spread (higher-priced loans)• HOEPA status• Lien status• Reasons for denial (at FI’s option)
• Total points and fees
• Rate spread (for all loans)
• Prepayment penalty term
• Introductory interest rate term
• Nonamortizing features
• Loan term
• Application channel (retail, broker, other)
• Universal loan ID*
• Loan originator ID*
Property Information
• Property type• Owner occupancy• Property location, by:
• MSA or Metropolitan Division• State• County, and• Census tract
• Property value
• Parcel ID*
Applicant/ Borrower
Information
• Race• Ethnicity• Sex• Gross annual income
• Age
• Credit score
Current Regulation C Reporting and Dodd-Frank additions
The Dodd-Frank Act provides for the collection and reporting of specific identifiers “as the Bureau may determine to be appropriate.”
11
Application/ Loan Information
Automated underwriting systems (AUS) resultsMaking it mandatory, rather than optional, denial reasons Qualified Mortgage (QM) status of loan, as determined by the FICombined loan-to-value (CLTV) ratio
Additional points and fees information, including: Total origination charges Total discount points Borrower’s risk-adjusted, pre-discounted interest rate Interest rate received
Property Information
Replacing property type with number of units financed and dwelling’s construction method Whether multifamily property has an affordable housing deed restrictionInformation concerning manufactured housing: Whether the loan is secured by real or personal property Whether homeowner rents or owns the property where home is sited
Borrower Information
Debt-to-income ratio
Other info Unique FI entity identification number (to modify or replace the currentReporter’s identification number)
Data Points: Proposals Under Consideration
In addition, the Bureau is considering expanding the existing loan purpose data point (or otherwise revising Regulation C) to provide for separate reporting of cash-out refinance, reverse mortgage, and home equity line of credit (HELOC) transactions.
12
Sen
sitiv
e an
d P
re-d
ecis
iona
l
HMDA Modernization: Current HMDA Operations
Data collectionReporting and (re)submission
Compliance / internal audit
HMDA-related exams
Complete geocoding data
Standard annual edits and checks
Researching questions
Resolving question responses
Checking post-submission edits
Filing post-submission documents
Creating public LAR
Distributing public LAR
Distributing disclosure report
HMS / geocoding software
Transcribing data
Resolving reportability questions
Transfer to HMS
Exam prep
Exam assistance
Training
Internal audit
External audit
Alignment with MISMO data standards
To significantly mitigate burden and improve the quality of data collected and reported, the CFPB is considering aligning HMDA data requirements to the greatest extent practicable with industry-defined mortgage data standards
Considering standards adopted by MISMO
Considering further alignment with the Uniform Loan Delivery Dataset (ULDD), developed by Fannie Mae and Freddie Mac (collectively, the GSEs) as requirements for their purchase of mortgage loans in the secondary market
HMDA SBREFA Outreach Meeting 3/6/2014 13
HMDA Modernization: Process Improvements
The Bureau is using this rulemaking as an opportunity to review, streamline, and modernize HMDA operations and is considering the following proposals to improve the HMDA data collection, submission, and reporting processes:
1)Restructuring the geocoding process to allow batch geocoding and to shift some of the burden of geocoding from financial institutions (FIs) to the government;
2)Creating an improved web-based Data Entry Software (DES) that accommodates multiple users and data entry from multiple locations;
3)Streamlining the submission and editing processes to make them more efficient by refining the edits to correspond to the data reported, so that certain flags will align more closely with the loan types to which those edit flags are relevant; and
4)Expanding and integrating HMDA help sources to provide more centralized guidance.
14