Written by Steve Van Beek
Did you hear that? No worries, it was just the sound of thousands of dying trees after the CFPB's first three mortgage regulations were finalized. If you heard a second noise, it was probably your printer dying.
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Now, on to the good stuff. Initially, it is good idea to overview which rules were finalized and which are coming next.
Which Three Regulations? Yesterday, the CFPB finalized the qualified mortgage rule (AKA the ability-to-repay rule), the escrow rule for higher-priced mortgages, and the HOEPA/High-Cost/Section 32 mortgage rule.
What is Left? It is expected that the CFPB will finalize the remaining regulations on January 17th at their field hearing in Atlanta. Which ones? Mortgage servicing (both Reg Z and Reg X), mortgage loan originator compensation (and much more - including SAFE Act angles), appraisals for higher-risk mortgages, and Regulation B appraisal disclosure requirements. Yikes!
Of course, it is always possible the CFPB waits on one or two of these - especially given that neither the higher-risk appraisals or Reg B appraisals are listed on the CFPB's latest Regulatory Agenda. But, be prepared for all of these to be coming out soon.
What about TILA/RESPA Integrated Disclosures? The new disclosure forms will be finalized later in 2013. Dodd-Frank mandated that the CFPB propose new regulations by July 21, 2012 but it did not mandate a timeframe for the final regulation.
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Qualified Mortgages - Ability-to-Repay. This is the one that got all the press yesterday. There was the field hearing, the press release, Cordray's prepared remarks, the blog post, the Fact Sheet, the Summary and.........finally, the final rule (804 pages).
The CFPB created a special page for each new final rule and you can find the Qualified Mortgage/Ability-to-Repay page here.
This page includes the full final rule and it also takes a page out of this blog's playbook and breaks the new rule down by preamble, regulatory text and official interpretations.
Effective Date: The final rule contains an effective date of January 10, 2014.
Concurrent Proposal: The CFPB also proposed changes to the just finalized regulation. The proposal can be found here. Including the preamble, regulatory text and the official interpretations.
Of course, we'll have more on this final rule and the proposed rule in the future.
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Escrow Final Rule - Higher-Priced Mortgages. To much less fanfare, the CFPB also finalized a rule on escrow requirements for higher-priced mortgages (the original proposal was from the Federal Reserve way back in March 2011). The CFPB released a consumer guide on this rule (where is the compliance officer guide?) There is also a one-page summary here.
The CFPB's special page for the escrow final rule is here.
The full final rule is here (116 pages). There are also separate documents with the preamble, regulatory text and the official interpretations.
Effective Date: This final rule is effective June 1, 2013.
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HOEPA/High-Cost Mortgage - Final Rule. The CFPB also finalized a rule implementing changes to high-cost mortgages. A consumer guide for this rule is also available. A three-page summary is here.
The CFPB's special page for the HOEPA/High-Cost final rule is here.
The full final rule is here (431 pages). There are also separate documents with the preamble, regulatory text and the official interpretations.
Effective Date: This final rule is effective January 10, 2014.
Importantly, this final rule did not include a decision on whether to expand the definition of finance charge. That decision will be made as part of the TILA/RESPA Integrated Disclosure final rules.
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Adding It Up. So, that is 804 + 116 + 431 = 1351 new pages. And, more to come next week.
And, silly me, I thought I'd be able to finalize the third Game of Thrones book prior to the show starting back up.
Bonus: While there are many resources above, I wanted to share my personal favorite. Have a great weekend!
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