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#1244960 - 09/03/09 08:04 PM
Re: RESPA changes 1-1-10
David Dickinson
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Diamond Poster
Joined: Nov 2004
Posts: 2,310
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I emailed HUD telling them their link doesn't work (from the first announcement) and asking them to announce the changes. I also asked them to let us know what is changing. We'll see. I just visited their web site and now the FAQs say lasted update 9/3/09 and they are now 27 pages. I haven't had the time to see what changed from the 9/1 to the 9/3 version. http://www.hud.gov/offices/hsg/ramh/res/faqsept109final.pdf
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Opinions expressed are my own and not necessarily those of my employer. They are not legal advice.
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#1245193 - 09/04/09 12:21 AM
Re: RESPA changes 1-1-10
RR Joker
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10K Club
Joined: Jul 2001
Posts: 84,510
Galveston, TX
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As I have always said:
DOG spelled backward is GOD
HUD and spelled backward is DUH!
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The opinions expressed here should not be construed to be those of my employer: PPDocs.com
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#1245721 - 09/04/09 06:24 PM
Re: RESPA changes 1-1-10
Dan Persfull
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Diamond Poster
Joined: Nov 2004
Posts: 2,310
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HUD has updated the link to the RESPA FAQs. http://www.hud.gov/offices/hsg/ramh/res/resparulefaqs.pdfWhen you click this, you currently get the 27 page 9/3 version. The link in my prior post takes you to the 9/1 version.
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Opinions expressed are my own and not necessarily those of my employer. They are not legal advice.
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#1245756 - 09/04/09 06:46 PM
Re: RESPA changes 1-1-10
David Dickinson
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10K Club
Joined: Nov 2002
Posts: 20,656
The Swamp
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miracles happen! I'm impressed!
and thanks.
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My opinion only. Not legal advice. Say you'll haunt me - Stone Sour
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#1245782 - 09/04/09 07:03 PM
Re: RESPA changes 1-1-10
David Dickinson
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100 Club
Joined: Feb 2004
Posts: 100
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Is there a new Settlement Cost Booklet that goes along with the new HUD1 and GFE?
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#1245800 - 09/04/09 07:19 PM
Re: RESPA changes 1-1-10
FC
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Power Poster
Joined: Aug 2002
Posts: 3,094
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I don't think it has been revised yet.
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#1246152 - 09/08/09 02:19 PM
Re: RESPA changes 1-1-10
David Dickinson
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Gold Star
Joined: Jul 2005
Posts: 318
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With the new Reg X requirement to provide a GFE once we receive the six pieces of information how should lenders handle prequalifications? If your bank pulls a credit report in order to perform a prequalification you'll typically have all six pieces of information, so you'd be required to give a GFE.
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#1246547 - 09/08/09 07:26 PM
Re: RESPA changes 1-1-10
David Dickinson
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100 Club
Joined: Nov 2004
Posts: 237
USA
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Typically, a prequalification doesn't have a specific property - one of the 6 items necessary to have an application. No property = no RESPA.
If you do have all 6 items, you have an application and all RESPA requirements are triggered - including the GFE. You don't necessarily have an application if you have all six items. The definition of application also includes "any other information deemed necessary by the loan originator."
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#1246556 - 09/08/09 07:30 PM
Re: RESPA changes 1-1-10
Amos
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100 Club
Joined: Nov 2004
Posts: 237
USA
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Would this alternative statement for FHA loans replace the statement "If you pay off early you may have to pay a penalty" or would it be in addition to that disclosure?
Also, on the new GFE, even though FHA loans don't have a prepayment penalty, would you then answer "yes" to the question, "Does your loan have a prepayment penalty?" And how would you calculate the dollar amount of the maximum prepayment penalty? Anybody?
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#1246571 - 09/08/09 07:42 PM
Re: RESPA changes 1-1-10
Amos
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10K Club
Joined: Aug 2002
Posts: 47,706
Bloomington, IN
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You don't necessarily have an application if you have all six items. The definition of application also includes "any other information deemed necessary by the loan originator." Outside of the six criteria listed just what other information would you require before you would consider having an application for credit subject to disclosure requirements? Keep in mind RESPA does not address a "complete" application, it only addresses that you have enough information to begin your credit process.
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#1246674 - 09/08/09 08:26 PM
Re: RESPA changes 1-1-10
Dan Persfull
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100 Club
Joined: Nov 2004
Posts: 237
USA
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You don't necessarily have an application if you have all six items. The definition of application also includes "any other information deemed necessary by the loan originator." Outside of the six criteria listed just what other information would you require before you would consider having an application for credit subject to disclosure requirements? Keep in mind RESPA does not address a "complete" application, it only addresses that you have enough information to begin your credit process. I based my comment on the following statement from the final rule published in the Federal Register on 11/11/08 on page 68211: “…at the time of application, the loan originator will decide what application information it needs to collect from a borrower, and which of that collected application information it will use, in order to issue a meaningful GFE. However, before providing the GFE, the loan originator will be assumed to have collected at least the following six items of information: the borrower’s name, Social Security Number, and gross monthly income; the property address; an estimate of the value of the property; and the amount of the mortgage loan sought. The borrower’s Social Security Number would be collected for purposes of obtaining a credit report. The final rule now defines ‘‘application’’ to include at least these six items of information. Therefore, under this single application process, a loan originator may ask for, or a borrower may choose to submit, more information than the loan originator intends to use to process the GFE, for example the information on a standard 1003 mortgage loan application form, but beyond the six items of information, the loan originator will determine what it needs to issue a GFE.”
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#1246932 - 09/09/09 12:42 PM
Re: RESPA changes 1-1-10
David Dickinson
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100 Club
Joined: Nov 2004
Posts: 237
USA
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For starters, information such as loan purpose, product type and type of property would be helpful in preparing a GFE. I don't want to change our process. I want to collect all of the information for the 1003, so if, after providing the GFE, an applicant elects to continue their application, I'm all set. I understand I will need to set a policy that outlines what information out of all that I collect will be used to generate GFEs.
Last edited by Amos; 09/09/09 12:48 PM.
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#1246936 - 09/09/09 12:50 PM
Re: RESPA changes 1-1-10
Amos
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10K Club
Joined: Jul 2001
Posts: 84,510
Galveston, TX
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Because that is the regulatory requirement: "but beyond the six items of information, the loan originator will determine what it needs to issue a GFE.” HUD drew a bright line in the sand. If you determine that you need specific additional information, then you are going to "need" it from each and every applicant prior to proceeding or you may venture into a fair lending issue.
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The opinions expressed here should not be construed to be those of my employer: PPDocs.com
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