The Rise in Mortgage Defaults: Facts and Myths

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Professor Chris Mayer Paul Milstein Professor of Real Estate; Visiting Scholar, Federal Reserve Board & NY Fed The Rise in Mortgage Defaults: Facts and Myths http://www.gsb.columbia.edu/faculty/cmayer/ THE PAUL MILSTEIN CENTER FOR REAL ESTATE

Sources Christopher Mayer, Karen Pence, and Shane Sherlund, The Rise in Mortgage Defaults: Facts and Myths Christopher Mayer, Tomasz Piskorski, and Alexei Tchistyi, The Inefficiency of Refinancing: Why Prepayment Penalties Are Good for Risky Borrowers Shane Sherlund, The Outlook for Subprime Mortgages Christopher Mayer and Karen Pence, Subprime Mortgages: What, Where, and to Whom?

Takeaways Myths: Defaults appear unrelated to mortgage market innovations, including Prepayment penalties Rate resets on short-term ARMs (2/28 mortgages) Interest-only or option-arms Evidence: Unprecedented rise in defaults and foreclosures primarily due to Stagnation in house prices (driven by subprime collapse?) Slackened underwriting Poor economic conditions in some locations

Prepayment Penalties Refinancing penalties are increasingly used in the mortgage market, especially for the risky borrowers Prepayment penalties have generated controversy and criticism (even though they are common in most industrialized countries) Proposals in Congress and draft Federal Reserve Board rules curtail prepayment penalties I would eliminate the prepayment penalties that lead to such high rates of default. Senator Hillary Clinton, March 24, 2008.

Prepayment penalties can help risky borrowers Lenders must charge a high mortgage rate in order to lend to risky borrowers Problem: Good risks leave the pool quickly Subprime borrowers face two possibilities: Good outcome and refinance the mortgage (house prices rise, get finances under control, ) Bad luck and remain in the pool with a high likelihood of default (house prices fall, get unemployed, ) Prepayment penalties allow risk sharing between these two groups, lowering initial mortgage rates

Fraction of Subprime FRMs with a Prepayment Penalty (June, 2003)

Coupon Rate on Subprime FRMs (June, 2003)

51 Month Default Rate on Subprime FRMs (June, 2003)

Rate resets are not a big problem Only 7 percent of 2/28s or 3/27s had prepayment penalties (PPPs) that extended beyond the reset date To date, most defaults have occurred before the mortgage reset date (Sherlund, 2008) Lack of a refinancing market could seriously impact this process, but Interest rates have fallen to the point that most resets today will take place with less than a 1% rate increase

Interest-only and option ARMs have not defaulted at higher rates Most option ARMs were Alt-A mortgages, that have defaulted at much lower rates (borrowers had higher FICO scores) During period of low mortgage payments, defaults on subprime loans are lower than for fully amortizing mortgages Problems may come in the future: Many option ARMs allow negative amortization up to 125% LTV

Option ARMs are misnamed; (almost) everyone takes the option Fraction of Option ARMs making minimum payment

So what happened? THE PAUL MILSTEIN CENTER FOR REAL ESTATE

Defaults increase largely in markets where house prices have fallen rapidly Cumulative Defaults by HPA Experience 25% 20% 15% 10% 5% 0% 0 6 12 18 24 30 36 42 Loan Age (months) Source: Subprime mortgages from LoanPerformance data CA/FL/AZ/NV 2000-4 CA/FL/AZ/NV 2005 CA/FL/AZ/NV 2006 CA/FL/AZ/NV 2007 Rest of U.S.

Observable underwriting problems: Downpayment disappeared Source: Subprime mortgages from LoanPerformance data

Unobservable underwriting problems: Early payment defaults grew rapidly 20 Delinquency Rates by Loan Age & Vintage* 16 2007 2006 Percent 12 8 2005 4 2004 0 2 4 6 8 10 12 14 16 18 *Includes loans 90 days or m ore past due or in foreclos ure. Note: Q1 originations only. Source: First Am erican LoanPerform ance.

Are Alt-A loans next???

So where do we go from here? Encourage private sector to responsibly replace $1 Trillion in lost mortgage originations Consumer protection regulation should be carefully constructed to ensure credit is available to risky borrowers who can afford it FRM with (well-disclosed) prepayment penalty may be a good product for risky borrowers Legal changes that allow cramdowns or require negotiations will surely reduce new supply of credit, possibly extending house price declines