Quarterly Conversations: Live from First State Bank and Trust Caruthersville, Missouri. August 19, 2015

Size: px
Start display at page:

Download "Quarterly Conversations: Live from First State Bank and Trust Caruthersville, Missouri. August 19, 2015"

Transcription

1 Quarterly Conversations: Live from First State Bank and Trust Caruthersville, Missouri August 19,

2 Options to Join the Conversation Webinar and audio Click on the link: Choose to listen with your PC speakers Webinar and phone Click on the link: Choose to listen with your phone Call in number: Enter the participant code: Phone only Call in number: Enter the participant code:

3 Today s Presenters Julie Stackhouse, Senior Vice President, Federal Reserve Bank of St. Louis Leslie Hurst, Examiner, Federal Reserve Bank of St. Louis Rob Ryan, Senior Examiner, Federal Reserve Bank of St. Louis 3

4 Agenda 1. New integrated Truth in Lending Act (TILA)/Real Estate Settlement Procedures Act (RESPA) disclosure form Changes in coverage Definitions Timing requirements Tolerances Disclosure formatting 2. The U.S. Supreme Court ruling on disparate impact: implications for banking The ruling and possible implications for the supervisory process. The ways in which banks can use monitoring and reviews to effectively control any increased fair lending risk. 4

5 Part 1: TILA-RESPA Integrated Disclosure (TRID) 5

6 TILA-RESPA Integrated Disclosure (TRID) Effective: October 3, 2015 Introduces two new forms that combine old disclosures Loan estimate (LE) new disclosure Early truth in lending disclosure (Regulation Z) Good faith estimate (Regulation X) Closing disclosure (CD) new disclosure Final TIL disclosure (Regulation Z) Housing and urban development (HUD) 1/1A settlement statement (Regulation X) Introduces two servicing-related disclosures Escrow closing notice Partial payment disclosure 6

7 TILA-RESPA Integrated Disclosure (TRID) Applies to most closed-end consumer loans secured by real estate, including: Loans secured by more than 25 acres Loans secured by vacant land Construction-only loans Exemptions: Home equity lines of credit Reverse mortgages Mobile home loans without real estate 7

8 TILA-RESPA Integrated Disclosure (TRID) Application definition involves the receipt of the consumer s: Name Income Social security number Address of property Estimate of value of property Requested mortgage loan amount These items do not have to be verified to be considered a completed application according to the new rule. 8

9 TILA-RESPA Integrated Disclosure (TRID) Loan estimate: 9

10 TILA-RESPA Integrated Disclosure (TRID) LE requirements: Can only charge for credit report until intent to proceed is provided Intent to proceed must now be documented If property address is not yet available, use a description such as lot number and subdivision ZIP code must always be included Services the borrower can and cannot shop for sections must be listed in alphabetical order Title-related services must start with Title, and then have the related description of the fee 10

11 TILA-RESPA Integrated Disclosure (TRID) Commentary includes unique calculation of title insurance disclosed amount (Commentaries (f)(2)-4 and (g)(4)-2) Lender s title insurance policy must be disclosed without any adjustment for a simultaneous issue Owner s title insurance policy must be disclosed using the following calculation: full owner s title insurance premium + simultaneous premium for lenders coverage full premium for lender s coverage Think of it as over-disclosing the lender s policy and underdisclosing the owner s policy. 11

12 TILA-RESPA Integrated Disclosure (TRID) General guidelines: LE Payment Tables May have up to four payment columns Balloon payment, scheduled as a final payment, must have its own column 1 5 years on the payment table reflects payments 1 59 The schedule is reflecting up to the fifth year Payment 60 would be disclosed as year six 12

13 TILA-RESPA Integrated Disclosure (TRID) Adjustable rate mortgage (ARM) payment schedule: Minimum payments: calculate assuming interest rate will decrease as rapidly as possible Maximum payments: calculate assuming interest rate will rise as rapidly as possible No longer limited to: initial, maximum in 5 years, and maximum ever 13

14 TILA-RESPA Integrated Disclosure (TRID) Balloon LE payment schedule example: 62 month balloon 61 payments at $1, Balloon on 62 nd month of $191,

15 TILA-RESPA Integrated Disclosure (TRID) ARM LE payment schedule example: $200,000 loan amount 30-year loan Initial rate of 3.75 percent Floor of 3.75 percent 2/6 caps Fully indexed rate of 8.75 percent Initial fixed period of 62 months, adjust yearly thereafter 15

16 TILA-RESPA Integrated Disclosure (TRID) ARM LE payment schedule example (continued): LE Years Maximum payment schedule Reasoning 1-6 Starting month 1 $ % 1-6 Starting month 63 7 Starting month Starting month 87 $1, % $1, % $1, % 1-6 = 1 month through 71 months 7 = 72 months through = 84 months through maturity 16

17 TILA-RESPA Integrated Disclosure (TRID) LE timing requirements: Timing LE: Must be delivered or placed in the mail within 3 business days after application and 7 business days before consummation. Revised LE: Must be received 4 business days before consummation. LE business day A day on which creditor s offices are open for carrying out substantially all of its business functions. The LE business day definition differs from the CD business day. 17

18 TILA-RESPA Integrated Disclosure (TRID) LE timing requirements (continued): KEY: RED is bank/borrower actions BLUE is regulatory requirements 18

19 TILA-RESPA Integrated Disclosure (TRID) Fee tolerance changes Zero tolerance category: Fees paid to creditor, mortgage broker, or affiliate of either Transfer taxes Third party charges the borrower was NOT allowed to shop for 10 percent tolerance category: Third party charges (not paid to creditor or affiliate) where consumer is permitted to shop and selects from written list of providers Recording fees No tolerance category: Prepaid interest, property insurance, escrow Third party charges (not paid to creditor or affiliate) where consumer selects servicer NOT on written list of providers 19

20 TILA-RESPA Integrated Disclosure (TRID) LE changed circumstances: Event beyond control of any interested party or other event specific to consumer or transaction (cost related) Information specific to transaction or consumer that creditor relied upon to provide LE is found to be inaccurate or changed (cost related) New information specific to transaction or consumer that creditor did not rely on when providing LE (cost related) Information received that affects eligibility for a loan program (loan program and related costs) Borrower requested changes that affect charges or loan terms Rate lock, where rate was not locked when initial LE was provided 20

21 TILA-RESPA Integrated Disclosure (TRID) LE changed circumstances (continued): A missed fee or inaccurate calculation by the bank is NOT a changed circumstance. A revised LE is not allowed. Only provide a revised LE when the changed circumstance causes charges to exceed the allowed tolerances. Commentary states that the CD will only be compared to revised LEs that are issued when a changed circumstance causes charges to exceed tolerance. The Zero Tolerance category has the rule changes to watch 10% Tolerance and No Tolerance categories generally remained the same 21

22 TILA-RESPA Integrated Disclosure (TRID) LOAN ESTIMATE CHANGED CIRCUMSTANCES KEY: RED is bank/borrower actions BLUE is regulatory requirements 22

23 TILA-RESPA Integrated Disclosure (TRID) Closing Disclosure: 23

24 TILA-RESPA Integrated Disclosure (TRID) CD timing requirements: Timing A CD received at least 3 business days prior to consummation: A CD that is mailed is considered received 3 business days after it is mailed. Consider delivery confirmation to speed up the process. A CD that is ed is also considered received 3 business days after it is ed. Consider read receipts to speed up the process. Must obtain consent from the borrower to send a CD electronically. This is required by the E-sign Act. If consent is not documented, delivery of the CD via is not allowed. A CD business day is all calendar days except Sundays and legal holidays. This definition differs from the LE business day. 24

25 TILA-RESPA Integrated Disclosure (TRID) Everybody is saying, Oh no! Closings will be delayed. It will be okay. Three types of changes that will require a new 3-business day waiting period: Disclosed annual percentage rate becomes inaccurate. 1/8 percent for regular loans and 1/4 percent for irregular loans The loan product changes. Fixed rate to ARM; principal and interest to interest only; Conventional to Federal Housing Administration (FHA) Prepayment penalty is added. It will be important to watch the lender required services that borrower cannot shop for such as appraisal, credit reports. 25

26 TILA-RESPA Integrated Disclosure (TRID) Record retention: (Record retention does not only apply to disclosures, it now applies to documents related to disclosures such as estimates and changed circumstance events.) LE: 3 years after consummation CD: 5 years after consummation Escrow closing notice and partial payment disclosure: 2 years Remember: If servicing is sold, both the new servicer and original servicer must retain the CD for the remainder of the 5 years. 26

27 TILA-RESPA Integrated Disclosure (TRID) Suggestions for success: Training, policies, and procedures Test the process and system using a dummy loan scenario Have a dialog with parties involved to ensure all understand the importance of timely communication Collaboration with title companies will need to be reviewed Fee estimates CD Timing Broker relationships? Review the process and ensure all parties understand who will do what. Online applications? Think about the order in which information is collected. Listen to regulatory discussions and hot topics Contact us! 27

28 Questions? You have three ways to ask a question By webinar: Type your question into the chat box By phone: Press *1 to ask a live question By rapid@stls.frb.org 28

29 Part 2: The U.S. Supreme Court Ruling on Disparate Impact: Implications for Banking 29

30 Ruling on Disparate Impact: Implications for Banking Key take-aways from the Supreme Court s decision Anti-discrimination legislation/regulation overview Disparate impact versus disparate treatment Summary of Texas Department of Housing and Community Affairs v. The Inclusive Communities Project, Inc. Components of valid disparate-impact claims Examples of recent settlements involving lenders Implications for the Equal Credit Opportunity Act (ECOA) Implications for the supervisory process Components of effective disparate-impact risk management 30

31 Ruling on Disparate Impact: Implications for Banking Texas Department of Housing and Community Affairs v. Inclusive Communities Project, Inc. (June 25, 2015) Held: Disparate-impact claims are cognizable under the Fair Housing Act Applying the determination throughout lower courts: A disparate-impact claim relying on a statistical disparity must fail if the plaintiff cannot point to a defendant s policy or policies causing that disparity. A robust causality requirement is important prompt resolution of these cases is important. Policies... are not contrary to the disparate-impact requirement unless they are artificial, arbitrary, and unnecessary barriers. These limitations are also necessary to protect defendants against abusive disparate-impact claims. 31

32 Ruling on Disparate Impact: Implications for Banking Two pieces of legislation outlawing discrimination on a prohibited basis are enforced through Regulation B The FHA prohibits discrimination in all aspects of "residential real estate-related transactions on the basis of: Race or color National origin Religion Sex Familial status (defined as children under the age of 18 living with a parent or legal custodian, pregnant women, and people securing custody of children under 18) Handicap The ECOA prohibits discrimination in any aspect of a credit transaction on the basis of: Race or color Religion National origin Sex Marital status Age (provided the applicant has the capacity to contract) The applicant s receipt of income derived from any public assistance program The applicant s exercise, in good faith, of any right under the Consumer Credit Protection Act 32

33 Ruling on Disparate Impact: Implications for Banking Both the FHA and ECOA establish two standards for determining whether discrimination has taken place: Disparate Treatment: When overtly or comparatively different policies or practices are applied to credit applicants on a prohibited basis (intentional discrimination.) Disparate Impact: When a lender applies a neutral policy or practice equally to all credit applicants, but the policy or practice disproportionately excludes or burdens certain persons on a prohibited basis (unintentional discrimination). 33

34 Ruling on Disparate Impact: Implications for Banking Summary of Texas Department of Housing and Community Affairs (Department) v. The Inclusive Communities Project, Inc. (ICP) The Department distributes low-income housing tax credits on behalf of the federal government. The ICP, a Texas-based nonprofit corporation that assists low-income families in obtaining affordable housing, alleged that the Department caused continued segregated housing patterns by allocating too many tax credits to housing in predominantly black inner-city areas and too few in predominantly white suburban neighborhoods. 34

35 Ruling on Disparate Impact: Implications for Banking Summary of Department v. ICP (continued) In the original suit filed in 2009, the District Court decided: ICP showed disparate impact And the Department failed to meet its burden to show that there were no less discriminatory alternatives for allocating the tax credits While the Department s appeal was pending, in 2012 HUD issued a regulation asserting: The FHA encompasses disparate-impact liability Three-step burden-shifting framework for deciding whether a violation has occurred: Plaintiff proves discriminatory effect of a specific policy or practice Defendant has the burden of proving legitimate business necessity of that policy or practice Plaintiff may prevail upon proving that the same legitimate interest could be served by another practice with a less discriminatory effect 35

36 Ruling on Disparate Impact: Implications for Banking In deciding the appeal in 2014, the Fifth Circuit Court wrote Disparate-impact claims are cognizable under the FHA The District Court improperly required the Department to prove that there are no less discriminatory alternatives (in light of HUD s regulation) Supreme Court affirmed and remanded the Fifth Circuit s decision 36

37 Ruling on Disparate Impact: Implications for Banking Components of a valid disparate-impact claim: Proof of a specific policy s discriminatory effect Burden of proof is on the plaintiff. If the claim is based upon statistical evidence, it must be tied to a specific policy. Proof that the legitimate business need behind the policy can be achieved through some other policy with less discriminatory effects Supreme Court ruled that the plaintiff must demonstrate the lessdiscriminatory alternative policy, affirming HUD s 2012 rule. Previously, lower courts burdened the defendant with proving that no less-discriminatory alternative policy existed. 37

38 Ruling on Disparate Impact: Implications for Banking Recent disparate-impact settlements involving lenders Consent Order Act Policy Impact Alternative Policy USA v. Luther Burbank Savings, 9/12/12 FHA and ECOA $400,000 minimum mortgage loan amount Black and Hispanic residents of the Los Angeles area were denied access to mortgage loans $20,000 minimum loan amount Ally Financial Inc. and Ally Bank, 12/20/13 USA v. Evergreen Bank Group, 5/17/15 American Honda Motor Co., 7/14/15 ECOA Through indirect lending relationships, permitting automobile/motorcycl e dealers to charge higher interest rates to consumers on the basis of race and national origin Minority borrowers were charged significantly higher dealer markups than similarly-situated non minority borrowers Allow dealers to charge markups, but implement controls to prevent dealers' illegally discriminatory actions 38

39 Ruling on Disparate Impact: Implications for Banking Implications for the ECOA Expect examiners to continue evaluating evidence of disparateimpact under ECOA for the foreseeable future. HUD, the Consumer Financial Protection Bureau (CFPB), and other regulators have reiterated their position that they will pursue disparate-impact claims under ECOA. Even as disparate impact cases were approaching the Supreme Court, the CFPB stated that it would pursue disparate impact under ECOA even if it was struck down under FHA. Further down the line Some speculate that the Supreme Court s ruling will affirm the legitimacy of disparate-impact claims under ECOA. Others suspect that the Supreme Court s opinion on the FHA may actually call that legitimacy into question. 39

40 Ruling on Disparate Impact: Implications for Banking Implications for the supervisory process For now, routine mandated examinations should not look much different. Expect continued pressure on indirect lending and redlining Neither issue would have been immediately affected if the Supreme Court had overturned disparate impact anyway. We may see an increase in complaints, which could alter the normal course of examinations and applications. Some say the ruling may embolden community groups to file more complaints, Community Reinvestment Act public comment letters, and application protests. If true, this would likely cause extended examination and application processing times. Home Mortgage Disclosure Act reporters in diverse markets would be especially vulnerable to such complaints. 40

41 Ruling on Disparate Impact: Implications for Banking Implications for the supervisory process (continued) In the future, two things that may change are: Interagency Fair Lending Examination Procedures (IFLEP) could be updated to put more emphasis on disparate impact. Currently, the IFLEP tells examiners how to recognize fair lending issues that may have a potential disparate impact, but they do not call for examiners to plan examinations to identify or focus on [them]. The Federal Financial Institutions Examination Council may update or amend IFLEP, or individual regulators may issue their own supplementary guidance. 41

42 Ruling on Disparate Impact: Implications for Banking Implications for the supervisory process (continued) A legal challenge to ECOA could affirm or invalidate disparate-impact claims for lending unrelated to residential real estate. Very unlikely that it would reach the Supreme Court within the next 5 years Given the regulators stance on the applicability of disparate impact before June 25, 2015, it seems unlikely that lower court rulings would change anything. 42

43 Ruling on Disparate Impact: Implications for Banking Components of effective disparate-impact risk management: Identification of policies or practices with the potential for disparate impact Things like minimum loan amounts and indirect lending relationships automatically deserve attention. For all loan products and residential real estate-related activities, use management information systems to look for disparities in denial rates, pricing, application volume, etc. on a prohibited basis, and trace them back to a specific policy or practice. 43

44 Ruling on Disparate Impact: Implications for Banking Components of effective disparate-impact risk management (continued): Adjust policies with disparate-impact risk to include fair lending controls. Document justifications for legitimate business needs, where appropriate. Conduct ongoing monitoring of lending data to evaluate effectiveness of controls, and make adjustments as necessary. 44

45 Ruling on Disparate Impact: Implications for Banking Components of effective disparate-impact risk management (continued): Example: CFPB/Department of Justice Consent Order s Option One for Honda American Finance, Inc. Limit dealer discretion to 125 basis points (bps) for loans with terms of 60 months or less, 100 bps for loans with terms over 60 months, etc. Send regular notices to all dealers stating expectations of ECOA compliance and the dealer s obligation to price loans in a non discriminatory manner. Monitor lending data to ensure that dealers are in compliance with discretion limits. 45

46 Ruling on Disparate Impact: Implications for Banking In conclusion... Disparate-impact claims under the FHA are here to stay. Evidence of disparate impact under the ECOA will be pursued by bank regulators unless the Supreme Court stops them. Banks should continue to identify and control fair lending risk associated with disparate-impact liability in all residential real estate-related activity and all lending. Expect to hear more questions about the legality of disparate-impact claims under ECOA, but don t expect answers anytime soon. 46

47 Questions? You have three ways to ask a question By webinar: Type your question into the chat box By phone: Press *1 to ask a live question By rapid@stls.frb.org 47

48 Contacts Leslie Hurst (314) Rob Ryan (314)

49 Acronyms and Abbreviations TILA Truth In Lending Act RESPA Real Estate Settlement Procedures Act TRID TILA/RESPA Integrated Disclosure LE Loan Estimate CD Closing Disclosure HUD Housing and Urban Development ARM Adjustable Rate Mortgage FHA Fair Housing Act ECOA Equal Credit Opportunity Act Department Texas Department of Housing and Consumer Affairs ICP Inclusive Communities Project CFPB Consumer Financial Protection Bureau IFLEP Interagency Fair Lending Examination Procedures 49

50 Thank you! 50

CFPB Integrated Mortgage Disclosures

CFPB Integrated Mortgage Disclosures CFPB Integrated Mortgage Disclosures Today s Goal To help you not only understand the rule changes, but make sure you have the tools, resources and support to take action to implement in your credit union

More information

Overview The Regulation The Loan Estimate (LE) The Closing Disclosure (CD) Loan Estimate (LE) Application Date LE Responsibility

Overview The Regulation The Loan Estimate (LE) The Closing Disclosure (CD) Loan Estimate (LE) Application Date LE Responsibility To support your preparation efforts when implementing the TILA-RESPA Integrated Disclosure (TRID) rule effective for applications dated on or after October 3, 2015, we have created this Helpful Tips for

More information

Know Before You Owe. TILA-RESPA Integrated Disclosure (TRID) Rule

Know Before You Owe. TILA-RESPA Integrated Disclosure (TRID) Rule Know Before You Owe TILA-RESPA Integrated Disclosure (TRID) Rule Background of CFPB The Consumer Financial Protection Bureau (CFPB) was established in 2010 under the Dodd-Frank Act Directed to publish

More information

2015 Fidelity National Title Group

2015 Fidelity National Title Group Five Things You Need to Know Before August 2015 WHAT IS THE CFPB? THE NEW LINGO Dodd-Frank Act --Dodd-Frank Wall Street Reform and Consumer Protection Act of 2010 CFPB Consumer Financial Protection Bureau

More information

FRESH. Agenda. Credit Union Integrated Mortgage Disclosures Are you Prepared?

FRESH. Agenda. Credit Union Integrated Mortgage Disclosures Are you Prepared? MCUL & Affiliates 2015 Annual Convention and Exposition Credit Union Integrated Mortgage Disclosures Are you Prepared? Glory LeDu Thursday, June 4, 2015 2:00 p.m. Sponsored by: FRESH Ideas to Reinvent

More information

TILA/RESPA Integrated Disclosures. BRIAN A. NETTLEINGHAM Attorney/Shareholder Regulatory Compliance Group

TILA/RESPA Integrated Disclosures. BRIAN A. NETTLEINGHAM Attorney/Shareholder Regulatory Compliance Group TILA/RESPA Integrated Disclosures BRIAN A. NETTLEINGHAM Attorney/Shareholder Regulatory Compliance Group BACKGROUND Dodd-Frank Wall Street Reform Act Created the Consumer Financial Protection Bureau National

More information

Loan Estimate (LE) TILA-RESPA Integrated Disclosure (TRID) Rule Requirements

Loan Estimate (LE) TILA-RESPA Integrated Disclosure (TRID) Rule Requirements Loan Estimate (LE) TILA-RESPA Integrated Disclosure (TRID) Rule Requirements New Definitions; New Forms New Work Flow New Rule creates new definition of Covered Loan Loan Application Consummation (Closing)

More information

CUNA s COMPLIANCE HIGHLIGHTS

CUNA s COMPLIANCE HIGHLIGHTS CUNA s COMPLIANCE HIGHLIGHTS TILA/RESPA INTEGRATED MORTGAGE DISCLOSURES For more than 30 years, Federal law has required lenders to provide two different disclosure forms to consumers applying for a mortgage.

More information

Fair Lending Overview. Division of Depositor and Consumer Protection

Fair Lending Overview. Division of Depositor and Consumer Protection Fair Lending Overview Fair Lending Regulations Equal Credit Opportunity Act (ECOA) Prohibits discrimination in any aspect of a consumer or commercial credit transaction Fair Housing Act (FHA) Prohibits

More information

Brief Walk Through of TRID. Presented by: Scott Meerstein MGIC Inside Sales

Brief Walk Through of TRID. Presented by: Scott Meerstein MGIC Inside Sales Brief Walk Through of TRID Presented by: Scott Meerstein MGIC Inside Sales The information presented in this presentation is for general information only, and is based on guidelines and practices generally

More information

TILA-RESPA INTEGRATED DISCLOSURE (TRID) AT A GLANCE COPYRIGHT 2015 AMERICAN FINANCIAL RESOURCES, INC. ALL RIGHTS RESERVED

TILA-RESPA INTEGRATED DISCLOSURE (TRID) AT A GLANCE COPYRIGHT 2015 AMERICAN FINANCIAL RESOURCES, INC. ALL RIGHTS RESERVED TILA-RESPA INTEGRATED DISCLOSURE (TRID) AT A GLANCE Last Revised: 8/28/2015 TABLE OF CONTENTS What is TRID?...3 Forms...4-7 - Loan Estimate - Closing Disclosure - Change of Circumstance Delivery Methods

More information

Home Mortgage Loan Tips: TILA-RESPA Integrated Disclosures

Home Mortgage Loan Tips: TILA-RESPA Integrated Disclosures PLEASE STAND BY Your webinar is about to begin. pncmortgage.com/agentalliance 1 2015 Home Lending Changes New Mortgage Rules Demystified: TILA RESPA Integrated Disclosures (TRID) Welcome to the webinar!

More information

PRMG is Ramping Up for the TILA RESPA Rule

PRMG is Ramping Up for the TILA RESPA Rule PRMG is Ramping Up for the TILA RESPA Rule Paramount Residential Mortgage Group, Inc. (PRMG) is ramping up for the new TILA RESPA rule. Effective with applications taken on or after August 1, 2015, lenders

More information

CLARIFICATION OF MAJOR CHANGES. Integrated Mortgage Disclosures

CLARIFICATION OF MAJOR CHANGES. Integrated Mortgage Disclosures CLARIFICATION OF MAJOR CHANGES Integrated Mortgage Disclosures One of the mortgage industry s most anticipated provisions of the Dodd-Frank Act has been the integration of the Truth-in-Lending Act (TILA)

More information

TILA-RESPA Integrated Disclosure Rule

TILA-RESPA Integrated Disclosure Rule TILA-RESPA Integrated Disclosure Rule May 13, 2015 Joseph J. Reilly Partner Benjamin K. Olson Partner 1 Key Changes Effective for applications received by the creditor or mortgage broker on or after August

More information

TRID Quick Reference Guide

TRID Quick Reference Guide TRID General Rules and Definitions New Required Disclosures Loan Estimate (LE) replaces the GFE and Initial TIL Closing Disclosure (CD) replaces the Final TIL and HUD-1 Home Loan Toolkit replaces the HUD

More information

Fair Lending, UDAAP and CRA: Protecting Your Bank from Allegations of Fair and Responsible Lending Violations

Fair Lending, UDAAP and CRA: Protecting Your Bank from Allegations of Fair and Responsible Lending Violations Fair Lending, UDAAP and CRA: Protecting Your Bank from Allegations of Fair and Responsible Lending Violations Albany, NY April 23, 2015 Legal Counsel to the Financial Services Industry Presented by Warren

More information

TRID. What are the Timing Requirements for Revisions to a Loan Estimate?

TRID. What are the Timing Requirements for Revisions to a Loan Estimate? TRID What is TRID? TRID is an acronym for TILA- RESPA Integrated Disclosure (also referred to as the TILA-RESPA Rule) and applies to most closed-end Borrower credit transactions secured by real property.

More information

TILA-RESPA INTEGRATED MORTGAGE DISCLOSURES

TILA-RESPA INTEGRATED MORTGAGE DISCLOSURES TILA-RESPA INTEGRATED MORTGAGE DISCLOSURES Explaining the New Rule History Timing Purpose Coverage? Changes Definition of an Application Loan Estimate Closing Disclosure Variations/Tolerances 5 Things

More information

CFPB Proposes New Mortgage Disclosure Rules

CFPB Proposes New Mortgage Disclosure Rules A DV I S O RY July 2012 On July 9, 2012, the Bureau of Consumer Financial Protection (CFPB) issued a proposed rule on mortgage disclosures (Proposed Rule) implementing requirements of the Dodd-Frank Wall

More information

Welcome! Thank you for joining the NYCB Gemstone Loan Estimate Process training presentation.

Welcome! Thank you for joining the NYCB Gemstone Loan Estimate Process training presentation. Welcome! Hello, Thank you for joining the NYCB Gemstone Loan Estimate Process training presentation. We will start the session shortly. Please note that all participants will be muted upon entry of the

More information

January 20, 2015 Updated Changes:

January 20, 2015 Updated Changes: Get Ready! Get Set! August 1, 2015 is Around the Corner THE COMBINED TILA AND RESPA MORTGAGE DISCLOSURES (Memo Updated on 1/27/15 to include the changes below) As most of you are probably aware, a major

More information

How To Write A Disclosure Form

How To Write A Disclosure Form Office of Consumer Protection Truth-In-Lending Real Estate Settlement Procedures Act Integrated Disclosures Webinar February 11, 2015 The information contained in this presentation is for informational

More information

When do I have to start following the TILA-RESPA rule and using the new Integrated Disclosures?

When do I have to start following the TILA-RESPA rule and using the new Integrated Disclosures? ............................................................................................. Overview of the TILA-RESPA Rule.............................................................................................

More information

TILA-RESPA Integrated Disclosure (TRID) Correspondent Division. Overview. Loan Estimate (LE) Key points. Topic The Regulation

TILA-RESPA Integrated Disclosure (TRID) Correspondent Division. Overview. Loan Estimate (LE) Key points. Topic The Regulation Overview The Regulation The Consumer Financial Protection Bureau (CFPB) issued a final rule amending Regulation Z (Truth in Lending Act) and Regulation X (Real Estate Settlement Procedures Act) to integrate

More information

TILA RESPA Procedural Impacts Are You Ready? Presenters. CUNA Mutual Group 2015 All rights reserved. 1. July 7, 2015

TILA RESPA Procedural Impacts Are You Ready? Presenters. CUNA Mutual Group 2015 All rights reserved. 1. July 7, 2015 Presented by: TILA RESPA Procedural Impacts Presenters Jon Bundy Regulatory Compliance Manager CUNA Mutual Group 608-665-7101 jonathan.bundy@cunamutual.com Theresa Reinke LOANLINER Compliance Consultant

More information

TRID Frequently Asked Questions

TRID Frequently Asked Questions TRID Frequently Asked Questions Q: What is TRID? A: TRID is an acronym for the TILA-RESPA Integrated Disclosure rule. It is a rule mandated by the Consumer Financial Protection Bureau as part of the Dodd-Frank

More information

TILA-RESPA Integrated Disclosures

TILA-RESPA Integrated Disclosures Outlook Live Webinar- June 17, 2014 TILA-RESPA Integrated Disclosures Presented by the Consumer Financial Protection Bureau Visit us at www.consumercomplianceoutlook.org Disclaimer The Bureau issued the

More information

Hot Topics in Fair Lending

Hot Topics in Fair Lending Hot Topics in Fair Lending Andrea J. Shaw, Counsel, TD Bank James Cohen, Partner, Verrill Dana, LLP 1 April 2012 Fair Lending: Basic to How Banks Offer Mortgages to Public Issue: Whether a lender is improperly

More information

Please stand by, the presentation will begin shortly. Your phones have been muted. If you re using the speakers on your PC you don t need to call in.

Please stand by, the presentation will begin shortly. Your phones have been muted. If you re using the speakers on your PC you don t need to call in. Please stand by, the presentation will begin shortly. Your phones have been muted. If you re using the speakers on your PC you don t need to call in. While you are waiting, you may download the presentation

More information

Disclosure Process. 1 WSL:1241 Issued: 09/04/15

Disclosure Process. 1 WSL:1241 Issued: 09/04/15 NYCB Gemstone Closing Disclosure Process 1 WSL:1241 Issued: 09/04/15 Items being covered today: Closing Disclosure Overview Gemstone Process Flow Overview Walkthroughs of the new modules in Gemstone The

More information

Changes to Mortgage Loan Closing Process

Changes to Mortgage Loan Closing Process Changes to Mortgage Loan Closing Process 2015 Iowa Title Guaranty Settlement Conference Presented by: Ronette Schlatter, CRCM 1 Background Dodd-Frank Wall Street Reform and Consumer Protection Act (DFA)

More information

Key Components of TRID. Presented by: Benjamin K. Olson

Key Components of TRID. Presented by: Benjamin K. Olson Key Components of TRID Presented by: Benjamin K. Olson 1 TRID Effective Date and Enforcement June 17, 2015: CFPB Press Release CFPB Director announces proposal to delay effective date until October 1:

More information

MORTGAGE BANKERS ASSOCIATION OF THE GENESEE REGION MAY 21, 2015. Presenter: Bonnie S. Nachamie

MORTGAGE BANKERS ASSOCIATION OF THE GENESEE REGION MAY 21, 2015. Presenter: Bonnie S. Nachamie MORTGAGE BANKERS ASSOCIATION OF THE GENESEE REGION MAY 21, 2015 Presenter: Bonnie S. Nachamie The Closing Disclosure ( CD ) is the new form that amends, enhances and replaces the Final TIL and HUD-1 The

More information

TRID Survival Guide: Consumer Edition

TRID Survival Guide: Consumer Edition TRID Survival Guide: Consumer Edition What you need to know about the TILA-RESPA Integrated Closing Disclosures. NFM Lending NMLS # 2893 Toll-Free: 1-888-233-0092 www.nfmlending.com Introduction NFM Lending

More information

TRID TILA-RESPA INTEGRATED DISCLOSURES 1

TRID TILA-RESPA INTEGRATED DISCLOSURES 1 1 TRID TILA-RESPA INTEGRATED DISCLOSURES 2 Effective with applications taken on or after August 1, 2015 Loan Estimate Replaces and combines Early Truth-In-Lending Disclosure and Good Faith Estimate Closing

More information

PART 2: THE LOAN ESTIMATE. Integrated Disclosures Rule Effective August 1, 2015

PART 2: THE LOAN ESTIMATE. Integrated Disclosures Rule Effective August 1, 2015 PART 2: THE LOAN ESTIMATE Integrated Disclosures Rule Effective August 1, 2015 1 Thank you for your time today! Integrated Disclosures Webinar Series brought to you by HomeBridge Wholesale Visit: www.homebridgewholesale.com

More information

July 2015. For questions or comments regarding this newsletter, contact Marketing@idsdoc.com 2015 IDS, Inc.

July 2015. For questions or comments regarding this newsletter, contact Marketing@idsdoc.com 2015 IDS, Inc. July 2015 For questions or comments regarding this newsletter, contact Marketing@idsdoc.com 2015 IDS, Inc. Still To Be TRID Ready Before August 1 Due to the recent press release from the CFPB of possibly

More information

TILA-RESPA Integrated Mortgage Disclosures

TILA-RESPA Integrated Mortgage Disclosures TILA-RESPA Integrated Mortgage Disclosures Supreme Lending NMLS #2129 2015 Distribution to the general public is prohibited. This is not considered an advertisement as defined by 12 CFR 226.2(a)(2). Supreme

More information

Disparate Impact Considerations for Private Education Loans

Disparate Impact Considerations for Private Education Loans Disparate Impact Considerations for Private Education Loans Arthur J. Rotatori, Esq. McGlinchey Stafford 25550 Chagrin Blvd., Suite 406 Cleveland, Ohio 44122 (216) 378-9932 arotatori@mcglinchey.com Fair

More information

FINANCE HELPLINE PRESENTS: TRID WHAT TO EXPECT ON AUG. 1ST finance.car.org (213) 739-8383 financehelpline@car.org

FINANCE HELPLINE PRESENTS: TRID WHAT TO EXPECT ON AUG. 1ST finance.car.org (213) 739-8383 financehelpline@car.org FINANCE HELPLINE PRESENTS: TRID WHAT TO EXPECT ON AUG. 1ST finance.car.org (213) 739-8383 financehelpline@car.org Thank you for joining the Webinar! We will begin at 11:00 a.m. Your phone will be muted,

More information

TILA-RESPA Integrated Disclosure Rule FAQs for Wholesale Brokers

TILA-RESPA Integrated Disclosure Rule FAQs for Wholesale Brokers TILA-RESPA Integrated Disclosure Rule FAQs for Wholesale Brokers DEFINITIONS AND ACRONYMS TRID: TILA-RESPA Integrated Disclosure Know Before You Owe Rule, text of the rule and more information available

More information

TILA-RESPA Integrated Mortgage Disclosures

TILA-RESPA Integrated Mortgage Disclosures TILA-RESPA Integrated Mortgage Disclosures Supreme Lending 2015 Distribution to the general public is prohibited. This is not considered an advertisement as defined by 12 CFR 226.2(a)(2). Supreme Lending

More information

General Resources CFPB Resources ALTA Best Practices Closing Insight Notaries Business & Commercial Loans Foreign Consumers

General Resources CFPB Resources ALTA Best Practices Closing Insight Notaries Business & Commercial Loans Foreign Consumers Remember, a knowing or reckless violation of TRID, even if done under instructions from the lender, may result in penalties of up to $1 million a day per violation against the individual settlement agent.

More information

CFPB THE NEW DISCLOSURE FORMS AND REQUIREMENTS BE READY!!

CFPB THE NEW DISCLOSURE FORMS AND REQUIREMENTS BE READY!! CFPB THE NEW DISCLOSURE FORMS AND REQUIREMENTS BE READY!! CELIA C. FLOWERS FLOWERS DAVIS, P.L.L.C. and EAST TEXAS TITLE COMPANY Tyler, Texas 75701 TILA and RESPA History 2012 TEXAS LAND TITLE INSTITUTE

More information

TRID In the Weeds. Article by Alice Alvey January 2015

TRID In the Weeds. Article by Alice Alvey January 2015 TRID In the Weeds Article by Alice Alvey January 2015 TRID BY ALICE ALVEY Alice Alvey It s not easy to see into the weeds of this regulation by attending a few webinars. It takes hundreds of man-hours

More information

TRID FAQ TILA/RESPA Integrated Disclosure Frequently Asked Questions

TRID FAQ TILA/RESPA Integrated Disclosure Frequently Asked Questions TRID FAQ TILA/RESPA Integrated Disclosure Frequently Asked Questions 242 W. SUNSET, STE.201 SAN ANTONIO, TX 78209 210-828-5844 DOCS@BAIRDLAW.COM Table of Contents GENERAL QUESTIONS... 3 1. What is TRID?...

More information

THE NEW TILA/RESPA INTEGRATED DISCLOSURES

THE NEW TILA/RESPA INTEGRATED DISCLOSURES THE NEW TILA/RESPA INTEGRATED DISCLOSURES IN PLAIN ENGLISH TRID Workshop Finals E F F E C T I V E A U G U S T 1, 2 0 1 5 *PROPOSAL PENDING TO DELAY EFFECTIVE DATE UNTIL OCTOBER 3RD, 2015 WHAT YOU WILL

More information

TILA/RESPA Integrated Disclosure (TRID) Rule

TILA/RESPA Integrated Disclosure (TRID) Rule TILA/RESPA Integrated Disclosure (TRID) Rule Ken Markison, Vice President, Regulatory Counsel, MBA Jerra H. Ryan, Vice President of Compliance, Cherry Creek Mortgage Alex Karram, Attorney, Weiner Brodsky

More information

A Primer on the New CFPB Regulations Governing Residential Closings. Navigating the New Forms (Loan Estimate and Closing Disclosure.

A Primer on the New CFPB Regulations Governing Residential Closings. Navigating the New Forms (Loan Estimate and Closing Disclosure. A Primer on the New CFPB Regulations Governing Residential Closings. Navigating the New Forms (Loan Estimate and Closing Disclosure.) For loan applications received beginning October 3, 2015. Disclaimer:

More information

Fair Lending and HMDA Compliance

Fair Lending and HMDA Compliance Office of Consumer Protection Consumer Compliance Policy & Outreach Fair Lending and HMDA Compliance February 20, 2015 The information contained in this presentation is for informational purposes only

More information

Webinar Thursday, January 16, 2014 2:00 3:30 pm ET

Webinar Thursday, January 16, 2014 2:00 3:30 pm ET Webinar Thursday, January 16, 2014 2:00 3:30 pm ET Webinar Thursday, January 16, 2014 2:00 3:30 pm ET Moderator Roger Blauvelt Vice President & National Agency Counsel WFG National Title Insurance Company

More information

Understanding the CFPB s TILA-RESPA Integrated Disclosures. Marvin Stone SVP, Business Integration CFPB Program Manager Stewart Title Guaranty Corp.

Understanding the CFPB s TILA-RESPA Integrated Disclosures. Marvin Stone SVP, Business Integration CFPB Program Manager Stewart Title Guaranty Corp. Understanding the CFPB s TILA-RESPA Integrated Disclosures Marvin Stone SVP, Business Integration CFPB Program Manager Stewart Title Guaranty Corp. A Brief History. Truth-in-Lending Act (TILA) of 1968

More information

Introduction. The new rules and forms take effect October 3 rd, 2015 for all loan applications submitted on or after that date.

Introduction. The new rules and forms take effect October 3 rd, 2015 for all loan applications submitted on or after that date. Introduction The new rules and forms take effect October 3 rd, 2015 for all loan applications submitted on or after that date. Phased-in approach: Continue to close out loans in the lender s pipeline using

More information

TILA RESPA An Overview

TILA RESPA An Overview TILA RESPA An Overview March 13, 2014 E. Andrew Keeney, Esq. Kaufman & Canoles, P.C. and Michael J. Coleman, Esq. NAFCU Director of Regulatory Affairs E. Andrew Keeney, Esq. Kaufman & Canoles, P.C. 150

More information

Summary of Content Changes 2015.2 Update June 2015

Summary of Content Changes 2015.2 Update June 2015 Summary of Content Changes 2015.2 Update June 2015 General Notes In this policy release, we are moving forward with the policy revisions associated with the Truth in Lending Act (TILA) and Real Estate

More information

CFPB and Lenders. A presentation on the Consumer Financial Protection Bureau and its impact on the lending industry

CFPB and Lenders. A presentation on the Consumer Financial Protection Bureau and its impact on the lending industry CFPB and Lenders A presentation on the Consumer Financial Protection Bureau and its impact on the lending industry What is the Consumer Financial Protection Bureau (CFPB)? Independent agency of the United

More information

The Closing Disclosure

The Closing Disclosure The Closing Disclosure Overview: The new TRID Regulation is effective for applications taken on October 3, 2015 and after. As a result, the GFE, TIL, and HUD-1 will no longer be issued. The Loan Estimate

More information

Regulation X Real Estate Settlement Procedures Act

Regulation X Real Estate Settlement Procedures Act Regulation X Real Estate Settlement Procedures Act The Real Estate Settlement Procedures Act of 1974 (RESPA) (12 U.S.C. 2601 et seq.) (the act) became effective on June 20, 1975. The act requires lenders,

More information

The CFPB Finalizes New Mortgage Servicing Rules

The CFPB Finalizes New Mortgage Servicing Rules A DV I S O RY April 2013 The CFPB Finalizes New Mortgage Servicing Rules On January 17, 2013, the Consumer Financial Protection Bureau (CFPB) finalized rules implementing the mortgage loan servicing requirements

More information

Tony Hernandez /s/ Tony Hernandez Administrator Housing and Community Facilities Programs

Tony Hernandez /s/ Tony Hernandez Administrator Housing and Community Facilities Programs October 6, 2016 TO: State Directors Rural Development ATTN: Program Directors Single Family Housing FROM: Tony Hernandez /s/ Tony Hernandez Administrator Housing and Community Facilities Programs SUBJECT:

More information

A New Era in Closings CFPB s Final Rule for Integrated Mortgage Disclosures. Michelle L. Korsmo Chief Executive Officer Steven Gottheim Counsel

A New Era in Closings CFPB s Final Rule for Integrated Mortgage Disclosures. Michelle L. Korsmo Chief Executive Officer Steven Gottheim Counsel A New Era in Closings CFPB s Final Rule for Integrated Mortgage Disclosures Michelle L. Korsmo Chief Executive Officer Steven Gottheim Counsel Agenda Basics: Why We re Here Final Rule The New Forms Evaluating

More information

Real Estate Lending A Document Compliance Overview. Judi Mortenson Lending Manager

Real Estate Lending A Document Compliance Overview. Judi Mortenson Lending Manager Real Estate Lending A Document Compliance Overview Judi Mortenson Lending Manager Agenda Introduction Goal of todays session: Create awareness of the documents and signatures that are required for real

More information

Update on CFPB s TILA- RESPA Integrated Disclosure Rule

Update on CFPB s TILA- RESPA Integrated Disclosure Rule Update on CFPB s TILA- RESPA Integrated Disclosure Rule Mortgage Bankers Ruth A. Dillingham, Special Counsel First American Title Insurance Company This presentation is for informational purposes only

More information

TILA-RESPA Integrated Disclosure Rule * January 21, 2015

TILA-RESPA Integrated Disclosure Rule * January 21, 2015 TILA-RESPA Integrated Disclosure Rule * January 21, 2015 Presented by David Kantor Stinson Leonard Street LLP David.kantor@stinsonleonard.com 612-335-1620 1. Effective Date. The new Integrated Disclosures

More information

Mission: to make markets for consumer financial products and services work for Americans.

Mission: to make markets for consumer financial products and services work for Americans. TRID with Norman Roos, Robinson and Cole LLP William McCue, McCue Mortgage Company Lawrence Garfinkel, Hunt Leibert Jacobson P.C. Jeremy Potter, Norcom Mortgage Agenda Introduction Overview and Framework

More information

Why real estate professionals, mortgage lenders and closing agents have to coordinate tasks during a real estate transaction.

Why real estate professionals, mortgage lenders and closing agents have to coordinate tasks during a real estate transaction. Why real estate professionals, mortgage lenders and closing agents have to coordinate tasks during a real estate transaction. The new Closing Disclosure replaces the current HUD-1 Settlement Statement

More information

ESCROW REQUIREMENTS UNDER TILA

ESCROW REQUIREMENTS UNDER TILA Overview Escrow Requirements Reg. Z High Cost Mortgage and Counseling - Reg. Z & X Ability to Repay & Qualified Mortgages Reg. Z & X Mortgage Servicing Reg. Z & X Loan Originator Compensation Reg. Z Copies

More information

How To Serve A Mortgage In The United States

How To Serve A Mortgage In The United States Break Out Session: Mortgage Loan Servicing and Administration 2 Agenda Mortgage Servicing Rules (Real Estate Settlement Procedures Act [RESPA] and Truth in Lending Act [TILA]) Effective Date: Applications

More information

TRUSTED INTELLIGENCE 1

TRUSTED INTELLIGENCE 1 TRUSTED INTELLIGENCE 1 POINT OF VIEW CFPB Know Before You Owe 2 Background The Consumer Financial Protection Bureau (CFPB) established new disclosure rules that become effective on mortgage applications

More information

TILA RESPA Integrated Disclosures. On October 3 rd, life as we know it will change forever. One of the new forms is.

TILA RESPA Integrated Disclosures. On October 3 rd, life as we know it will change forever. One of the new forms is. TILA RESPA Integrated Disclosures The Loan Estimate and Miscellaneous Requirements Lynne Murphy Breen, Esquire Sue Ellen Rogal, Esquire September 16, 2015 On October 3 rd, life as we know it will change

More information

GLOSSARY OF TERMS. Amortization Repayment of a debt in regular installments of principal and interest, rather than interest only payments

GLOSSARY OF TERMS. Amortization Repayment of a debt in regular installments of principal and interest, rather than interest only payments GLOSSARY OF TERMS Ability to Repay (ATR) The Ability to Repay rule protects consumers from taking on mortgages that exceed their financial means, by mandating the documentation / proof of income and assets.

More information

Guide to Completing the Closing Disclosure The following list highlights requirements needed to complete each section of the Closing Disclosure (CD).

Guide to Completing the Closing Disclosure The following list highlights requirements needed to complete each section of the Closing Disclosure (CD). Guide to Completing the Closing Disclosure The following list highlights requirements needed to complete each section of the Closing Disclosure (CD). Page 1 Closing Information Date Issued Date the CD

More information

CUNA s SUMMARY OF THE CFPB s MORTGAGE LENDING RULES Spring 2013

CUNA s SUMMARY OF THE CFPB s MORTGAGE LENDING RULES Spring 2013 MANDATORY ESCROW ACCOUNTS Effective: June 1, 2013 REGULATION Requires escrow accounts be maintained for five years (rather than the current one year) for higher-priced mortgage loans. A higher-priced mortgage

More information

Important Information Regarding TILA-RESPA Integrated Disclosure (TRID) Rule

Important Information Regarding TILA-RESPA Integrated Disclosure (TRID) Rule Important Information Regarding TILA-RESPA Integrated Disclosure (TRID) Rule Notice to students: If your course contains information on the Truth in Lending Act (TILA) and the Real Estate Settlement Procedure

More information

The New Mortgage Lending Process: A 2014 Check-Up and 2015 Planning

The New Mortgage Lending Process: A 2014 Check-Up and 2015 Planning The New Mortgage Lending Process: A 2014 Check-Up and 2015 Planning Copyright 2012 Tata Consultancy Services Limited No Legal Advice, Opinions, or Services Provided This presentation does not constitute

More information

Susan Costonis, C.R.C.M. Compliance Training & Consulting for Financial Institutions

Susan Costonis, C.R.C.M. Compliance Training & Consulting for Financial Institutions The Directors Education Series Fair Lending Training for the Board of Directors Part I Presented by: Susan Costonis, C.R.C.M. Compliance Training & Consulting for Financial Institutions YOUR PRESENTER

More information

2015 TILA-RESPA Compliance: Is Your Business Ready?

2015 TILA-RESPA Compliance: Is Your Business Ready? 2015 TILA-RESPA Compliance: Is Your Business Ready? The long-anticipated Truth-in-Lending (TILA), and Real Estate Settlement Procedures Act (RESPA) changes that were finalized in 2013 go into effect this

More information

TILA RESPA One of the Most Expensive Changes in Decades

TILA RESPA One of the Most Expensive Changes in Decades Veronese 2405 Wednesday, July 23, 2014 1:00 2:00 p.m.; 2:15 3:15 p.m. TILA RESPA One of the Most Expensive Changes in Decades E. Andrew Keeney, Esq., Partner, Kaufman & Canoles, P.C. 1 TILA RESPA One of

More information

The Federal Register published the proposed rule on August 23, 2012.

The Federal Register published the proposed rule on August 23, 2012. CFPB Issues Draft RESPA-TILA Proposed Rules On July 9, the Consumer Financial Protection Bureau ( Bureau or CFPB ) released draft proposed rules and model forms that combine the required disclosures under

More information

TILA-RESPA Integrated Disclosure rule. Small entity compliance guide

TILA-RESPA Integrated Disclosure rule. Small entity compliance guide TILA-RESPA Integrated Disclosure rule Small entity compliance guide March 2014 Table of contents Table of contents... 2 1. Introduction... 10 1.1 What is the purpose of this guide?... 11 1.2 Who should

More information

TRID Overview. Provided by Primary Capital Mortgage. Presented by Stacie Weider, Training Manager

TRID Overview. Provided by Primary Capital Mortgage. Presented by Stacie Weider, Training Manager Provided by Primary Capital Mortgage Presented by Stacie Weider, Training Manager What is TRID? TILA RESPA Integrated Disclosure Rule, which is effective October, 3, 2015. History Notes The Goal To provide

More information

QUICK REFERENCE GUIDE TO DISCLOSURES TRUTH IN LENDING ACT AND REGULATION Z (1) (CLOSED-END HOME MORTGAGE TRANSACTIONS)

QUICK REFERENCE GUIDE TO DISCLOSURES TRUTH IN LENDING ACT AND REGULATION Z (1) (CLOSED-END HOME MORTGAGE TRANSACTIONS) QUICK REFERENCE GUIDE TO DISCLOSURES TRUTH IN LENDING ACT AND REGULATION Z (1) (CLOSED-END HOME MORTGAGE TRANSACTIONS) Type of (2) Contents of Truth in Lending Statements 226.17 226.36 Early s 226.19(a)(1)

More information

Banker s Guide To Risk-Based Fair Lending Examinations

Banker s Guide To Risk-Based Fair Lending Examinations Banker s Guide To Risk-Based Fair Lending Examinations RESERVE BANK OF FEDERAL CHICAGO INCORPORATED 1914 MAY 18, Introduction Banker s Guide To Risk-Based Fair Lending This publication is a guide to the

More information

CFPB Consumer Laws and Regulations

CFPB Consumer Laws and Regulations Regulation X Real Estate Settlement Procedures Act The Real Estate Settlement Procedures Act of 1974 () (12 U.S.C. 2601 et seq.) (the Act) became effective on June 20, 1975. The Act requires lenders, mortgage

More information

Guide to Completing the Loan Estimate The following list highlights requirements needed to complete each section of the Loan Estimate.

Guide to Completing the Loan Estimate The following list highlights requirements needed to complete each section of the Loan Estimate. Guide to Completing the Loan Estimate The following list highlights requirements needed to complete each section of the Loan Estimate. General Information Page 1 Date Issued Date the LE is mailed or delivered

More information

AMERICAN BAR ASSOCIATION CONSUMER FINANCIAL SERVICES COMMITTEE SPRING MEETING SAN FRANCISCO, CALIFIORNIA

AMERICAN BAR ASSOCIATION CONSUMER FINANCIAL SERVICES COMMITTEE SPRING MEETING SAN FRANCISCO, CALIFIORNIA AMERICAN BAR ASSOCIATION CONSUMER FINANCIAL SERVICES COMMITTEE SPRING MEETING SAN FRANCISCO, CALIFIORNIA TILA-RESPA INTEGRATED DISCLOSURE RULE BACKGROUND, TILA LIABILITIES & OPERATIONAL CONCERNS I. OVERVIEW

More information

KNOW BEFORE YOU CLOSE THE NEW LOAN ESTIMATE AND CLOSING DISCLOSURE EXPLAINED

KNOW BEFORE YOU CLOSE THE NEW LOAN ESTIMATE AND CLOSING DISCLOSURE EXPLAINED I. What is the CFPB? KNOW BEFORE YOU CLOSE THE NEW LOAN ESTIMATE AND CLOSING DISCLOSURE EXPLAINED For more than 30 years, federal law has required all lenders to provide two disclosure forms to consumers

More information

Indirect Auto Lending and Compliance with the Equal Credit Opportunity Act

Indirect Auto Lending and Compliance with the Equal Credit Opportunity Act CFPB Bulletin 2013-02 Date: March 21, 2013 Subject: Indirect Auto Lending and Compliance with the Equal Credit Opportunity Act This bulletin provides guidance about compliance with the fair lending requirements

More information

Wells Fargo Settlement Agent Communications

Wells Fargo Settlement Agent Communications Wells Fargo Settlement Agent Communications News for Wells Fargo Settlement Agents September 14, 2015 Wells Fargo says thank you! When the Consumer Financial Protection Bureau (CFPB) announced the TILA

More information

Are You Ready for TRID? Dodd Frank the CFPB & You Featuring TRID

Are You Ready for TRID? Dodd Frank the CFPB & You Featuring TRID WELCOME! www.grantsimon.com Are You Ready for TRID? Dodd Frank the CFPB & You Featuring TRID 1 TRID TILA-RESPA INTEGRATED DISCLOSURE Ready For It New Jargon Lender Borrower Closing GFE & TIL HUD 1 & TIL

More information

Reference Guide: Loan Estimate (LE) TILA- RESPA Integrated Disclosure (TRID) Rule Requirements

Reference Guide: Loan Estimate (LE) TILA- RESPA Integrated Disclosure (TRID) Rule Requirements Reference Guide: Loan Estimate (LE) TILA- RESPA Integrated Disclosure (TRID) Rule Requirements The purpose of this document is to provide a reference guide for the Loan Estimate (LE) TILA-RESPA Integrated

More information

Break Out Session: Mortgage Loan Underwriting and Pricing

Break Out Session: Mortgage Loan Underwriting and Pricing Break Out Session: Mortgage Loan Underwriting and Pricing Agenda Ability to Repay (ATR)/Qualified Mortgages (QMs) Effective Date: Applications received on or after January 10, 2014 2013 Home Ownership

More information

All in Good Faith. mortgagedashboard. How Know Before You Owe Changes Everything. Jorge Sauri jorges@mortgagedashboard.com

All in Good Faith. mortgagedashboard. How Know Before You Owe Changes Everything. Jorge Sauri jorges@mortgagedashboard.com All in Good Faith How Know Before You Owe Changes Everything. Jorge Sauri jorges@mortgagedashboard.com mortgagedashboard August 1, 2015, marks the end of a long road for federal regulations that promise

More information

Changes in Mortgage Regulation in 2013 Katie Wechsler December, 2012

Changes in Mortgage Regulation in 2013 Katie Wechsler December, 2012 Changes in Mortgage Regulation in 2013 Katie Wechsler December, 2012 In 2011 and 2012 the Federal banking agencies proposed several regulations to the mortgage industry, none of which have been finalized,

More information

2014 NCUA Fair Lending Examinations. MDDCCUA Training

2014 NCUA Fair Lending Examinations. MDDCCUA Training 2014 NCUA Fair Lending Examinations MDDCCUA Training October 30, 2013 E. Andrew Keeney, Esq. Kaufman & Canoles, P.C. E. Andrew Keeney, Esq. Kaufman & Canoles, P.C. 150 West Main Street, Suite 2100 Norfolk,

More information

INTEGRATED MORTGAGE DISCLOSURES CLOSING DISCLOSURE

INTEGRATED MORTGAGE DISCLOSURES CLOSING DISCLOSURE INTEGRATED MORTGAGE DISCLOSURES TILA RESPA RULE CLOSING DISCLOSURE Financial Solutions Patti Blenden October 2014 1 September 2014 Guide The Loan Estimate and Closing Disclosure must be used for most closed

More information

MORTGAGE LOAN PREQUALIFICATIONS:

MORTGAGE LOAN PREQUALIFICATIONS: MORTGAGE LOAN PREQUALIFICATIONS: APPLICATIONS OR NOT A GUIDE FOR COMPLYING WITH REGULATIONS B AND C Federal Deposit Insurance Corporation Division of Compliance & Consumer Affairs Federal Deposit Insurance

More information

THE ATTORNEY GENERAL S 2006 ANNUAL REPORT TO CONGRESS PURSUANT TO THE EQUAL CREDIT OPPORTUNITY ACT AMENDMENTS OF 1976

THE ATTORNEY GENERAL S 2006 ANNUAL REPORT TO CONGRESS PURSUANT TO THE EQUAL CREDIT OPPORTUNITY ACT AMENDMENTS OF 1976 THE ATTORNEY GENERAL S 2006 ANNUAL REPORT TO CONGRESS PURSUANT TO THE EQUAL CREDIT OPPORTUNITY ACT AMENDMENTS OF 1976 SUBMITTED BY WAN J. KIM ASSISTANT ATTORNEY GENERAL MARCH 13, 2007 This report is submitted

More information

CLIENT UPDATE THE CFPB ISSUES BULLETIN ON INDIRECT AUTO LENDING AND COMPLIANCE WITH THE EQUAL CREDIT OPPORTUNITY ACT

CLIENT UPDATE THE CFPB ISSUES BULLETIN ON INDIRECT AUTO LENDING AND COMPLIANCE WITH THE EQUAL CREDIT OPPORTUNITY ACT CLIENT UPDATE THE CFPB ISSUES BULLETIN ON INDIRECT AUTO LENDING AND COMPLIANCE WITH THE EQUAL CREDIT OPPORTUNITY ACT NEW YORK Mary Beth Hogan mbhogan@debevoise.com Eric P. Alpert epalpert@debevoise.com

More information