Regulation B requires a copy of all appraisals or written valuations developed in connection with the application to be provided to the customer promptly upon completion if the credit is to be secured by a 1st lien on a dwelling.
Now from your comments. It sounds like a new appraisal was not order. So if the bank developed any written valuations then you would provide those to the customer. If nothing was developed then nothing has to be given.
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It is better to act cautiously beforehand than to suffer afterward.
The answers I give are my opinions. Not legal advice.