New HMDA – Challenges for commercial lenders
08/13/2017
Are there any fields in the revised HMDA rule going into effect that will be tricky for commercial lenders?
You can reach Kathleen via email at kblanchard@keycomplianceservices.com,
08/13/2017
Are there any fields in the revised HMDA rule going into effect that will be tricky for commercial lenders?
08/13/2017
A customer applied by telephone but dropped off related paperwork at a branch. Should we treat that event as a face to face application?
08/06/2017
A transaction is dwelling-secured; doesn’t it go on the HMDA LAR?
08/06/2017
We understand that we can report up to 5 ethnicities or races on the HMDA LAR. Should we instruct the applicant to select 5?
07/30/2017
A construction loan was converted to permanent financing by means of a loan modification agreement (sometimes called a change in terms agreement). Is this an extension of credit reportable for HMDA as of 1/1/2018?
07/23/2017
Should every assumption be on the HMDA LAR?
07/16/2017
Land contracts are common in our lending area. Some of them have clauses whereby all funds paid under the agreement count as rent should the lessee of the property default. Are those land contracts HMDA reportable?
07/16/2017
If an older mobile home is not considered a manufactured home, is it a different type of dwelling for HMDA reporting once we are under the revised 2018 rules?
07/09/2017
The financial institution made a closed end mortgage loan secured by raw land. We have an extension of credit but the collateral is not a dwelling. Can we ignore this transaction for HMDA purposes?
07/09/2017
Has anything changed regarding assisted-living properties under the 2018 HMDA rules?