Letters to Regulators: Letter Commenting on HUD’s Proposed Defect Taxonomy for Servicing Loan Reviews
AFREF joined a letter commenting on HUD’s proposed Defect Taxonomy for Servicing Loan Reviews.
AFREF joined a letter commenting on HUD’s proposed Defect Taxonomy for Servicing Loan Reviews.
AFR joined a letter to Congress in support of The Reforming Disaster Recovery Act.
AFREF joined a letter in response to the CFPB’s request for comment on Home Mortgage Disclosure Act (HMDA) data.
AFREF joined two letters, one to the CFPB and one to HUD, FHFA, VA and USDA, both calling on the agencies to halt foreclosure for 60 days when a homeowner has submitted an application for HAF funds and the servicer has been notified by the HAF administrator.
AFR joined a letter to Congress in support of Sandra Thompson’s nomination to be director of FHFA.
AFREF joined a letter to FHFA calling on the agency to rededicate itself to improving language access in mortgage origination and servicing.
AFREF joined a letter urging HUD to strengthen its recent Interim Final Rule intended to prevent evictions.
AFREF joined a comment letter in response to the OCC’s proposal to rescind its 2020 rule regarding the Community Reinvestment Act regulations. The letter urges the OCC to rescind the final rule as quickly as possible.
AFR joined a letter to Congress highlighting the urgent need to include targeted first generation down payment assistance (DPA) in the Build Back Better Act.
AFREF joined a letter to FHFA in response to the enterprise equitable housing finance plans request for input.