Stress Testing Modeling Symposium



Similar documents
HOME AFFORDABLE MODIFICATION PROGRAM BASE NET PRESENT VALUE (NPV) MODEL SPECIFICATIONS

Homeownership Preservation Policy for Residential Mortgage Assets. Section 110 of the Emergency Economic Stabilization Act (EESA)

Acquiring Institutions under Share Loss Agreements and LLC Servicers under LLC Servicing Agreements

Mortgage Finance Under Basel III Raymond Natter July, 2012

Why Don t Lenders Renegotiate More Home Mortgages? Redefaults, Self-Cures and Securitization ONLINE APPENDIX

Citi U.S. Mortgage Lending Data and Servicing Foreclosure Prevention Efforts

The Goldman Sachs Group, Inc. and Goldman Sachs Bank USA Annual Dodd-Frank Act Stress Test Disclosure

Stress Test Modeling in Cards Portfolios

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

New Mortgage Rules Update

GLOSSARY COMMONLY USED REAL ESTATE TERMS

Solar Leases FHA/VA. Term of lease must be greater than the loan term

Equity Default Insurance

Consultation Paper: Review of bank capital adequacy requirements for housing loans (stage one).

Proposed Definitions of Higher-Risk Consumer and C&I Loans and Securities under FDIC Large Bank Pricing

COMPREHENSIVE LOAN MODIFICATION PROGRAM

A Guide to Mortgage Products. A Glossary of Lending Terms and. True. Know Before You Go...To Get A Mortgage. False. Federal Reserve Bank of Boston

Appraisals and Evaluations. II. When is an Appraisal or Evaluation Needed?

Mortgage Defaults. Shane M. Sherlund. Board of Governors of the Federal Reserve System. March 8, 2010

CHAPTER 10: LEVERAGED LOANS SECTION 1: UNDERSTANDING LEVERAGED LOANS

Best Practices in Asset Liability Management

Comparing the Performance of Home Affordable Modification Program (HAMP) Modifications and Non-HAMP Modifications: Early Results 1

By - Nitin J. Dave 25-Year Veteran of FannieMae ATR / QM Agency Prospective Effectively Manage Repurchases, Make-Wholes & Indemnifications

The Math Behind Loan Modification

Securitizing Reperforming Loans into Agency Mortgage Backed Securities: A Program Primer

Citi U.S. Consumer Mortgage Lending Data and Servicing Foreclosure Prevention Efforts

Regulatory Practice Letter February 2013 RPL 13-07

Paragon 5. Financial Calculators User Guide

6. Business Plans, Policies and Procedures

HSBC North America Holdings Inc Comprehensive Capital Analysis and Review and Annual Company-Run Dodd-Frank Act Stress Test Results

The Rise in Mortgage Defaults: Facts and Myths

Loss Mitigation Procedures and Foreclosure Hurdles

Variable Names & Descriptions

Residential Mortgage Lending in Oregon Calendar Year 2010

Loan Modifications and Redefault Risk: An Examination of Short-Term Impacts

Citi U.S. Consumer Mortgage Lending Data and Servicing Foreclosure Prevention Efforts

Regulatory Stress Testing For Mortgage Loan Portfolios

ZMdesk. ZM Unified Total Prepayment Model VERSION UPDATE JANUARY Practical Solutions to Complex Financial Problems

State Farm Bank, F.S.B.

Residential Mortgage Underwriting Guideline

Appendix D: Questions and Answers Section 120. Questions and Answers on Risk Weighting 1-to-4 Family Residential Mortgage Loans

ESCROW REQUIREMENTS UNDER TILA

FSP SOP 94-6-a PROPOSED FASB STAFF POSITION. No. SOP 94-6-a. Title: Nontraditional Loan Products. Comment Deadline: November 11, 2005.

CFPB issues ability-to-repay and qualified mortgage rules

CONFERENCE OF STATE BANK SUPERVISORS AMERICAN ASSOCIATION OF RESIDENTIAL MORTGAGE REGULATORS NATIONAL ASSOCIATION OF CONSUMER CREDIT ADMINISTRATORS

Interest-Only Loans Could Destabilize Denmark's Mortgage Market

An Approach to Stress Testing the Canadian Mortgage Portfolio

The CFPB s Ability-to-Repay Regulation Z Rules: (12 CFR )

Mortgage Arrears in Ireland: Introducing the Enhanced Quarterly Statistics

House Committee on Financial Services. November 29, 2012

2016 Comprehensive Capital Analysis and Review

Profit from Big Data flow. Regulatory Stress Testing For Mortgage Loan Portfolios by Opera Solutions, LLC. All rights reserved.

MORTGAGE TERMS. Assignment of Mortgage A document used to transfer ownership of a mortgage from one party to another.

Household Debt and Credit: Student Debt

The Bank of Canada s Analytic Framework for Assessing the Vulnerability of the Household Sector

Point Loma Credit Union - Mortgage Rates October 22, 2015

Financial Regulatory Reform: The New Rules on Loan Originator Compensation

STATE OF NEW JERSEY DEPARTMENT OF BANKING AND INSURANCE STATEMENT ON SUBPRIME MORTGAGE LENDING

House-Price Expectations, Alternative Mortgage Products, and Default

FEDERAL HOUSING FINANCE AGENCY

Point Loma Credit Union - Mortgage Rates June 17, 2016

Tabletop Exercises: Allowance for Loan and Lease Losses and Troubled Debt Restructurings

Federal Reserve Bank of Kansas City: Consumer Credit Report

A. Eligibility Requirements for a Loan Modification & Troubled Debt Restructure (TDRs)

No. Eligible borrowers will only be able to claim one payment from the fund.

Explain vital application doc calculations, including: Amortization Schedule TALC TIL (Fixed Rate)

PRISONERS DATA. The Mortgage Industry and Predictive Modeling

Transcription:

Stress Testing Modeling Symposium Residential Mortgage Modeling Issues Paul S. Calem Division of Supervision, Regulation, and Credit Federal Reserve Bank of Philadelphia Views are my own and not those of the Federal Reserve Bank of Philadelphia or Federal Reserve System

Issue 1: Aiming for Model Robustness Dynamic: o Can the model s fit to historical variation in payment performance be improved? o Are forward loss projections robust to alternative specifications? o Is there potential over-fitting of historical relationships? Cross-sectional: o Subject to available data, does the model incorporate a complete set of portfolio risk characteristics? o Are the relative impacts of various risk characteristics robust to alternative specifications?

Issue 1: Aiming for Model Robustness Stress testing context implies: odynamic variables limited to those for which have scenarios ovariable selection should be guided by theory o Less can be more oimportant to identify and assess impact of factors left out of model oelevated model risk and diminishing returns to model specification testing

Issue 2: Loan Modifications Reduced-payment loan modifications were a substantial percentage of re-performing (cured from delinquency) loans during crisis period o Rough estimates based on industry data show 30 percent of cures in 2008 were reduced-payment mods, rising to 45 percent in 2009 and 40 percent in 2010 o Most are rate reducing mods, but recently 20 to 30 percent involve principal reduction Payment performance of re-performing loans has improved since 2008, reflecting declining redefault among modified loans

Issue 2: Loan Modifications (Challenges) o How relevant are historical data? (evolving loan modification strategies and re-default behavior) o How will modified loans perform in a renewed stress environment? o Selection effects (unobserved characteristics, such as not being burdened with a second lien) o Incorporation of post-default modification into loss severity estimates o Is revenue reduction associated with rate modification adequately captured in PPNR models? o Similar issues apply to loss mitigation generally, such as to HELOC account management strategies

Issue 2: Loan Modifications (Solutions) Modeled relationships (as much as possible) should be well-grounded in empirical data Assumptions concerning future loan modification strategy, where unavoidable, should be documented These assumptions should be conservative

Issue 3: Second Liens as Risk Factor for First Mortgage Unobserved heterogeneity affects modeling first lien mortgage repayment o Unobserved second liens are one aspect of this o In securities data, combined loan-to-value ratio as of origination is generally recorded, but subsequent second-lien borrowing is not o In bank portfolio data, only the loan-to-value ratio of the first-lien is generally recorded

Issue 3: Second Liens as Risk Factor for First Mortgage (Problems) Dynamic: unexplained burnout effects unobserved changes in risk composition reflected in changing rates of delinquency Cross-sectional: unexplained differences in default rates across banks

Issue 3: Second Liens as Risk Factor for First Mortgage (Solutions) Unobserved heterogeneity accounted for indirectly through baseline hazard rates and included explanatory variables or proxies such as vintage effects Merging consumer credit reporting data into first-lien mortgage performance data is a potential solution o Depends on ability to consistently match borrowers across the two databases o Depends on ability to distinguish the second lien among possibly mortgage accounts in the credit reporting data o Worth exploring as a longer-term model development effort

Issue 4: Expiring Interest-Only Periods Expiring interest-only periods are a potential risk factor primarily for HELOCs o Due to high prepayment and default rates of firstlien closed-end interest-only ARMs, relatively few remain on book

Issue 4: Expiring Interest-Only Periods (Problem) HELOC interest-only periods set to expire mostly beginning in 2015 Need to rely on inferences based on best available data and expert judgment

Issue 4: Expiring Interest-Only Periods (Solutions) A substantial number of first-lien interest-only mortgages began amortizing in 2011; may be able to draw inferences from these HELOC payment reset risk may be mitigated by modification or roll-over strategies Again, risk quantification should be empirically based to the extent possible, and assumptions should be conservative