Coalition Comments to the VA Regarding Loan Guaranty: Minimum Property Requirements for VA-Guaranteed and Direct Loans
Advocates commend the VA for seeking input on this important topic and we hope that our comments will help inform the VA’s views.
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Advocates commend the VA for seeking input on this important topic and we hope that our comments will help inform the VA’s views.
This letter from the Underserved Mortgage Markets Coalition to FHFA Director Sandra Thompson recommends that the Government Sponsored Enterprises should retain loan purchase targets for underserved populations even in adverse market conditions.
This coalition letter from over 30 groups urges the FIO to finalize a proposed data collection without further changes to ensure granular data collection on the impacts of climate on financial risk in insurance markets. The proposal, which at its inception was already too narrow, has been further narrowered to omit many key markets and…
Joint comments on proposed interagency guidance regarding how financial institutions should handle reconsideration of valuation requests (more commonly known as ROVs) and consumer complaints about appraisals.
NCLC submitted comments on behalf of its low-income clients to the CFPB, FHFA, and federal banking regulators on their proposed rule requiring mortgage lenders and servicers to establish quality control standards for automated valuation models (AVMs).
Joint comments were submitted on the preliminary determination to update energy efficiency requirements for federally financed housing. The covered Department of Housing and Urban Development (HUD) and Department of Agriculture (USDA) mortgages and programs provide essential support for new affordable homes, a critical national need. Yet these homes may waste energy, resulting in high energy…