Here are the factors:
We opt not to report home equity lines of credit at our bank where HMDA is concerned.
If any loan has a home improvement purpose, we classify it that way and report it (except, as I just said, if it's a heloc).
That said, if we do a commercial line of credit to refurbish the units in an apartment building (making this a home improvement loan for HMDA), should it be considered a "heloc" since it's secured by the building, and therefore reportable? Or, if you look at it as a commercial line of credit for home improvement purposes, does HMDA give us the option of not reporting non-home equity lines of credit? (The reg only talks about home equity lines, not other types of lines - without this definition, I'm not sure how to interpret....)
Thanks for any guidance.....