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4 Webinars, 4 Perspectives Implications of Dodd-Frank Act

4 Webinars, 4 Perspectives Implications of Dodd-Frank Act. PART 1: ANTI-STEERING & LOAN OFFICER COMPENSATION. PART 2: IMPACT TO HEDGING. PART 3: IMPLICATIONS FOR DOCUMENT COMPLIANCE. PART 4: IMPACT TO YOUR LOS December 21. Implications of Dodd-Frank Act

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4 Webinars, 4 Perspectives Implications of Dodd-Frank Act

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  1. 4 Webinars, 4 Perspectives • Implications of Dodd-Frank Act • PART 1: • ANTI-STEERING & LOAN OFFICER COMPENSATION • PART 2: • IMPACT TO HEDGING • PART 3: • IMPLICATIONS FOR DOCUMENT COMPLIANCE • PART 4: • IMPACT TO YOUR LOS • December 21

  2. Implications of Dodd-Frank Act • Part 4: Impact to your Loan Origination Software • What you should be asking – and telling – your LOS Vendor • December 21, 2010 • December 2, 2010

  3. Ask Questions

  4. www.dmdinc.com Serving mortgage bankers since 1991 End-to-end solutions for mortgage origination activities Leading provider of mortgage banking software

  5. Mark Todd DMD – Del Mar DataTrac Product Marketing Manager mtodd@dmdinc.com Mark Todd has over 18 years of mortgage banking experience, 8 of those years at the C-level of mid-sized mortgage lenders. Mark has a specialty for creating competitive advantage through technology, and has consulted various mid-sized lenders on building scalable operations that support growth. Much of his experience has specifically focused on the use of technology to assure loan quality and compliance standards. Among his duties as Product Marketing Manager for DMD, Mark gathers market information and provides analysis to the DMD product team. Mark graduated magna cum laude with a Bachelor of Business Administration from Abilene Christian University, in Abilene, Texas in 1992.

  6. The attorneys said I should say: Mark, well intentioned though he may be, is not a licensed attorney in this state (or any state), and nothing he says should be construed as legal advice. When making decisions impacting your compliance efforts, it’s always a good idea to seek the advice of legal counsel.

  7. Special thanks to Google

  8. JIM MILANO WBSK James M. Milano Weiner Brodsky Sidman Kider PC Washington, DC 202-628-2000 milano@wbsk.com • Jim’s focuses on federal and state regulatory compliance matters related to the financial services industry. He represents and advises mortgage companies, consumer finance companies, financial institutions and secondary market investors, and their settlement service provider vendors, on issues such as: •   State mortgage licensing and S.A.F.E. Act related compliance •   FHA lending programs, rules and guidelines •   Responding to federal and state regulatory audits and administrative enforcement actions •   State laws and regulations concerning loan disclosures, allowable fees, and prohibited practices •   Federal preemption of state lending laws •   Federal laws and regulations including, but not limited to TILA, RESPA, ECOA, FDCPA, HMDA, FCRA, GLBA •   Implementation of the Dodd-Frank Act

  9. Salvation or Devastation?

  10. Confused? • Dodd-Frank Act? • …or is it TILA / Reg Z? • Some provisions already in place & others not yet in force… • …what does & does not apply? • The Barney Frank enigma

  11. 3 goals Dodd-Frank overview relative to mortgage origination Identify what you should be working on Help you prepare for the road ahead

  12. What is Dodd-Frank? Effects various segments of financial services industry; not just mortgage 2300+ pages No actionable compliance Basically a big “to-do” list

  13. What does Dodd-Frank do? Consolidates certain agencies and agency responsibilities Creates new agencies Sets timeframes for agencies to accomplish directives Grants agencies certain flexibilities in implementing provisions

  14. Skip to the good part… Title IX Title X Title XIV Risk retention for mortgage lenders There’s a new sheriff in town “Tweaks” to mortgage industry practices

  15. Title IX: Risk Retention For Mortgage Lenders Establishes enforcement agency & provides for the regulation of credit ratings agencies Requires lenders who securitize loans to retain 5% capital risk Possible “sharing” of 5% risk retention between originators and securitizer AAA

  16. Potential exemptions from risk retention • Existence of mortgage insurance coverage • Government-insured loans (FHA, VA, USDA) • “Qualified” mortgages to be defined based on: • - DTI ratio benchmarks; calculation standards • Documentation standards • Opportunity for payment shock • Loan attributes that contribute to mortgage risk

  17. Title X: Meet the new boss CFPB to be created by July 21, 2011 Rule Making Entity responsible for implementing mortgage-related provisions of Dodd-Frank Consolidates & streamlines responsibilities of various agencies Responsible for examination & enforcement for mortgage lending activity

  18. To protect consumers from abusive practices Truth in Lending Act (TILA) Home Ownership and Equity Protection Act (HOEPA) Truth in Savings Act Real Estate Settlement Procedures Act (RESPA) Secure and Fair Enforcement for Mortgage Licensing Act (SAFE) Interstate Land Sales Full Disclosure Act Telemarketing and Consumer Fraud and Abuse Prevention Act Inspector General Act Privacy Act Alternative Mortgage Transaction Parity Act (AMTPA) Electronic Fund Transfer Act (EFTA) Equal Credit Opportunity Act (ECOA) Expedited Funds Availability Act Fair Credit Billing Act Fair Credit Reporting Act (FCRA) Fair Debt Collection Practices Act Federal Deposit Insurance Act (FDIA) Federal Financial Institutions Examination Council Act Federal Trade Commission Act Gramm-Leach Bliley Act (GLB) Omnibus Appropriations Act, 2009 Right to Financial Privacy Act • Agencies to transfer over-lapping responsibilities: • FRB • FTC • OCC • OTS • FDIC • NCUA • HUD

  19. Same as the old boss? Examination & enforcement exception for depository institutions with less than $10BB in assets Will continue to have same examination & enforcement regulator CFPB is, nonetheless, the new rule-maker, but enforced by their examiner for purposes of consolidated auditing

  20. Title IX & X: “Nothing to see here…”

  21. Title XIV, Subtitles A thru H

  22. Title XIV Subtitles Subtitle A – Loan Origination Standards Subtitle B – Minimum Mortgage Standards Subtitle C – High-cost mortgages Subtitle D – Office of Housing Counseling Subtitle E – Mortgage Servicing Subtitle F – Appraisal Activities Subtitle G – Mortgage Resolution & Modification Subtitle H – Misc. Provisions

  23. Title XIV Subtitles Subtitle A – Loan Origination Standards Subtitle B – Minimum Mortgage Standards Subtitle C – High-cost mortgages Subtitle D – Office of Housing Counseling Subtitle E – Mortgage Servicing Subtitle F – Appraisal Activities Subtitle G – Mortgage Resolution & Modification Subtitle H – Misc. Provisions

  24. Title XIV, Subtitle A Loan Origination Standards Requires loan officer licensing Elimination of loan officer “overage” compensation Prohibition against steering for higher lender-paid compensation Prohibition against broker comp paid by borrower AND others

  25. Title XIV, Subtitle B Minimum Mortgage Standards • New TILA disclosure requirements; seeks to create consolidated RESPA /TILA disclosure • Must establish borrowers ability to repay • Maximum DTI’s • DTI calculation standards • Determination of qualifying payments • Define acceptable documentation • “Safe harbor” provision • PPP Restrictions: maximum PPP terms & loans ineligible for PPP (risky attributes to be defined…such as neg-am)

  26. Foreclosure defense Subtitle A “steering” infractions Subtitle B “ability to repay” infractions

  27. Title XIV, Subtitle C High-Cost Mortgages Amends HOEPA as follows: Expands coverage to include purchase mortgages Lowers APR trigger to 6.5% over APOR(8.5% for < $50k & subordinates liens) Lowers Points & Fees trigger to 5% (8% or $1000 for < $20,000) Expands definition of “points & fees” No Balloon or PPP features for high-cost loans

  28. Title XIV, Subtitle E Mortgage Servicing Mandatory impounds for higher-cost loans & loans above a certain LTV (TBD… 78%?) Disclosure of impound setup information 3 days prior to closing Impounded taxes are to be based off of improved tax rates (if new construction) Disclosure for non-escrowed loans

  29. Stay calm… CFPB to be created by 7/21/2011 Final Title XIV rules by 1/21/2013 Effective date by 1/21/2014

  30. Wake me up in 2014?

  31. I thought this was supposed to take a while? MDIA final rules implement TILA changes - 1/30/2011 Restrictions on Loan Steering & LO Compensation – 4/1/2011

  32. MDIA interim final rule for loans with variable payments Amends TILA Directive of MDIA Improves disclosures Model Format Model Clauses Effective January 30, 2011 What does “interim final” even mean?

  33. Payment Table “clause” Fixed Rate ARM Neg Am Interest Only

  34. Other TILA form model “clauses” Discounted initial rate Balloon loans “No Refinance Guarantee”

  35. What you should be asking about your LOS When does my LOS vendor intend to deliver the new TILA form for testing? Do my LOS capabilities & procedures give me high confidence of ARM data accuracy at disclosure?

  36. Restrictions on Steering and Loan Officer Compensation • Effective 4/1/2001 • Elimination of compensation based on overage • No compensation from borrower AND another party • No steering for higher compensation

  37. Loan Officer Compensation Big change for lenders with “wholesale pricing model” Lender indifferent to amount or discretion of LO mark-up New rules imply that buy-up/buy-down should directly impact borrower closing costs

  38. Glass is half-full?

  39. What you should be asking Can my LOS link loan pricing directly to Discount / Lender credit at closing? If not, have I told my vendor how I’d like that to function?

  40. Monitoring Broker Origination Charges Consistent origination charges at the broker level Broker’s standard charge rates not historically monitored Wholesalers to establish tracking methods Brokers to establish standard charges Must be in place 4/1/2011

  41. LOS to the rescue? Store charge at the broker level Pre-populate broker fees at the loan level % of loan amount with maximum & minimum Charges can change but not indiscriminately; retain historical record

  42. Will it take case law to know? Processing fee plus origination charge? Max/Min $ applies to origination only? Or sum with processing? Could a single broker/branch have geographical differences in pricing within their branch activity? What date determines charge? Broker app? Creditor App? Lock?

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