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Florida Association of Mortgage Brokers (FAMB) Participated in Reform of Real Estate Settlement Procedures Act (RESPA) at HUD Round Table in Washington, D.C. August 25, 2005.


TALLAHASSEE, Fla. -- The Florida Association of Mortgage Brokers (FAMB FAMB Florida Association of Mortgage Brokers ) recently participated in the process of reforming the Real Estate Settlement Procedures Act The Real Estate Settlement Procedures Act, (known as "RESPA"), was an Act passed by the United States Congress in 1974. It is codified at Title 12, Chapter 27 of the United States Code, 12 U.S.C.  2601-2617.  (RESPA RESPA Real Estate Settlement Procedure Act ). Ritch Workman, a member of FAMB's Executive Committee, participated in a round table discussion in Washington, D.C. on Thursday, August 25, 2005 hosted by the US Department of Housing and Urban Development (HUD Hud (hd), a pre-Qur'anic prophet of Islam. Hud unsuccessfully exhorted his South Arabian people, the Ad, to worship the One God. ).

FAMB applauds HUD Secretary Alfonso Jackson for holding these round table discussions and opening dialogue with industry and consumer groups alike. On June 27 when HUD Secretary Alphonso Jackson announced the plan to hold a series of six round table discussions with industry participants, consumer groups and regulators, he stated, "Simplifying and improving the way consumers buy and refinance homes in this country will drive our campaign along the road to reform." HUD's attempt at RESPA reform is well intentioned, the idea of "simplicity, clarity, transparency and greater certainty of cost" are worthwhile goals says FAMB President Steven Schneider. He goes on to say, "While the intent of reform is clear, the consequences of RESPA reform are far from simple, clear and transparent."

FAMB believes the following five principles should be considered by legislators and regulators before enacting changes to existing laws and rules affecting home loan consumers:

--Will this action save the consumer money?

--Are additional disclosures actually necessary?

--Does this action duplicate an existing rule?

--Are all mortgage professionals treated alike?

--Will this adversely affect mortgage availability?

The discussion and tone of the recent added Washington, D.C. round table was similar to the previous six sessions held during the months of July and August. The overwhelming majority of participants in the discussion including both industry and consumer groups oppose packaging in any form. The HUD rule proposed in 2002 and revised in 2004 allows lenders or other entities to disclose closing costs Closing Costs

The numerous expenses (over and above the price of the property) that buyers and sellers normally incur to complete a real estate transaction. Costs incurred include loan origination fee, discount points, appraisal fee, title search, title insurance, survey, taxes,
 as a package or bundle, rather than as an itemization i·tem·ize  
v. i·tem·ized, i·tem·iz·ing, i·tem·iz·es

v.tr.
1. To place or include on a list of items: itemized her expenses on the proper form.

2.
 of costs and services. Further, it granted a "safe harbor Safe Harbor

1. A legal provision to reduce or eliminate liability as long as good faith is demonstrated.

2. A form of shark repellent implemented by a target company acquiring a business that is so poorly regulated that the target itself is less attractive.
" or exemption from Section 8 of RESPA, the part that prohibits kick-backs and un-earned fees.

FAMB does not believe that packaging will save consumers money since large lenders who negotiate volume discounts are unlikely to pass those savings on to the consumer. Additionally, by allowing lenders to withhold from consumers information that they are currently required to disclose, the proposed rule actually works against the legislative intent of RESPA, which was originally written in 1974 to provide consumers with full disclosure of costs in the settlement process.

The original intent of RESPA would be further impeded by granting to lenders an exemption from the anti-kick-back provision of Section 8. Any measure that permits unearned fees or kick-backs cannot be good for the consumer and can only increase the cost of home loans. FAMB opposes packaging in any form.

A second area of discussion in the round tables has centered around the disclosure of yield spread premiums The examples and perspective in this article or section may not represent a worldwide view of the subject.
Please [ improve this article] or discuss the issue on the talk page.
 (YSP's). Also known as par plus or service release premiums, these are payments made to banks, lenders, mortgage bankers Mortgage Banker

A company, individual or institution that originates, sells and services mortgage loans.

Notes:
Don't confuse a mortgage banker with a mortgage broker.
, mortgage brokers and other originators when they sell or transfer a loan to another lender or to Fannie Mae Fannie Mae: see Federal National Mortgage Association.  or Freddie Mac Freddie Mac: see Federal Home Loan Mortgage Corporation. . Current practice requires that premiums paid at closing be disclosed on the settlement statement while those paid after closing are not. The proposed rule would require at closing premiums to be re-structured as credits to the borrower for closing costs rather than as payment directly to the originator.

The concept of disclosing YSP's as a credit to the borrower was tested by the Federal Trade Commission (FTC FTC

See Federal Trade Commission (FTC).
) after the release of the initial rule in a study called: "The Effect of Mortgage Broker Compensation: A Controllable Experiment". The study found that the disclosure proposed by HUD was "likely to confuse consumers, cause a significant proportion to choose loans that are MORE expensive than the available alternatives" (emphasis added). FAMB is for full disclosure in every mortgage transaction. FAMB also urges complete and independent consumer testing before implementing any new mortgage regulation.

The final area of discussion, which was presented at the most recent round table, focused on the Good Faith Estimate. Recently, NAMB NAMB North American Mission Board
NAMB National Association of Mortgage Brokers
NAMB National Association of Master Bakers
 presented HUD with a one-page proposed GFE GFE
abbr.
government-furnished equipment
 form. This form closely resembled the HUD-1 Settlement Statement in its format and provided consumers with more detailed disclosure information. FAMB strongly supports the use of the NAMB proposed GFE form. Ritch Workman, FAMB Vice President and attendee of HUD's round table on August 27, commented, "All those in the room agreed on two things - the GFE should be one page and it should look like the HUD-1." Schneider went on to say, "We all can agree that the one-page GFE is a vast improvement over the HUD-proposed 4 page GFE."

HUD's effort at reforming the mortgage process, while laudable laud·a·ble
adj.
Healthy; favorable.
, must take into account the five principals outlined above prior to issuing a final rule. Additionally, any changes should consider the important role of mortgage brokers in the home loan process. According to according to
prep.
1. As stated or indicated by; on the authority of: according to historians.

2. In keeping with: according to instructions.

3.
 the 2005 study by Wholesale Access released in July 2005, mortgage brokers account for 68% of 2004 origination activity. Over two thirds of mortgage loans are obtained through mortgage brokers. Further, according to the J.D. Powers and Associates 2005 Home Mortgage Study, "Those customers who used a broker tend to be substantially more satisfied with the broker personnel compared with those who interfaced directly with the lender's personnel." Finally, in April 2005 Kenneth Harney wrote in the Washington Post: "According to a team of researchers headed by Georgetown University's Gregory Elliehausen, home mortgage applicants with less-than-perfect credit pay lower financing costs when they obtain their mortgages through brokers rather than from loan officers directly employed by lenders. The same pattern holds true for African American African American Multiculture A person having origins in any of the black racial groups of Africa. See Race. , Hispanic and low-income borrowers."

Mortgage Brokers have larger market share, better customer service, and lower costs than other channels for home loans. Any reform of the process must consider the valuable role brokers play in affordable homeownership for borrowers across a wide demographic cross-section of America.

Founded in 1960, the Florida Association of Mortgage Brokers is the nation's oldest and largest professional Mortgage Broker's Association. We represent almost 50,000 Mortgage Industry Professionals and have members all over Florida. FAMB members are dedicated to integrity and service in every transaction. Visit the FAMB web site at http://www.famb.org. The web site allows you to search for an FAMB member in your area. The FAMB Foundation was formed in 2000 to offer educational programs to Mortgage Professionals and Consumers alike. Visit the Foundation Web Site at http://www.famb.org/foundation/foundation.html. For more information about FAMB contact Executive Director Karen Wordell at (800) 289-9983. You may email her at famb@supernet.net.
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Date:Sep 2, 2005
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