This kind of goes with my posting on Construction loans from a couple days ago. We do a single close/single disclose where escrow is not actually collected/setup until the house is completed and the permanent phase kicks in. Not sure if our LOS will let us do it like this, but because we have to try to capture all this on one set of disclosures here are my thoughts (which I want to see if others agree):
(1) On Page 1 of the LE in the ETI&A section under Projected Payments, we will answer "Yes" to the question "In escrow?"
(2) On Page 2 of the LE in Section G., we would leave the line items blank as the Regulation mentions amounts collected at "consummation." At consummation we do not collect any escrow funds.
(3) On Page 1 of the CD in the ETI&A section, we would answer "Yes" as noted above.
(4) On Page 2 of the CD, we would leave Section G. blank as we did with the LE.
(5) On Page 4 of the CD, we would check the box "will have an escrow account under "For now, your loan." This would require us to fill out the table below. For Escrowed Property Costs and Non-Escrowed Property Costs over Year 1, we would do our best to come up with an estimate of what these numbers would be. For "Initial Escrow Payment" we would have $0 because we do not collect anything at closing. For "Monthly Escrow Payment" we would have what the monthly amount will be when it is setup.
I know the CFPB didn't do a good job of understanding all the nuances that can occur with Construction Loans. I guess the main problem I see with my description style above is that there is no way to disclose the Escrow cushion that will be setup when the permanent phase begins, but I do not see any other way to disclose when using only one set of disclosures. Thank you for your time and assistance.