Skip to content
BOL Conferences
Page 4 of 7 1 2 3 4 5 6 7
Thread Options
#482224 - 01/20/06 09:43 PM Re: HMDA Temporary Financing Cave In
Princess Romeo Offline

Power Poster
Princess Romeo
Joined: Jun 2001
Posts: 8,272
Where the heart is
Okay - I'll make the first comment/correction on "my" Temporary financing definition:

1. Temporary financing includes any loan for the initial construction of a dwelling provided that loan does not also include permanent financing.

2. Temporary financing is any loan, regardless of purpose, that is secured by a dwelling but where the loan is made on the premise that repayment of any of the principal loan balance will NOT come from the ordinary income or revenue of the borrower, but will come from either the sale of the property or from financing that will be repaid by ordinary income or revenue of the borrower.

3. Loans to finance the intial construction of more than a single 1-4 family dwelling are not reportable regardless of any principal reduction schedule.


This amendment is intended to clarify:

- Construction-perm loans ARE reportable.

- Interest-only payments would not disqualify a loan from being considered temporary

-Loans that have principal reductions during the term of the loan would no longer qualify as "temporary" (with the exception of loans described in item #3) so you don't have someone trying to pass off a 2 year loan with principal and interest payments as "temporary" because the borrower is still looking to sell the property.

-Make it clear that tract construction loans are not HMDA reportable even if there are principal reductions.


Any more thoughts?
Last edited by Bonnie M; 01/20/06 09:46 PM.
_________________________
CRCM,CAMS
Regulations are a poor substitute for ethics.
Just sayin'

Return to Top
Lending Compliance
#482225 - 01/21/06 01:32 PM Re: HMDA Temporary Financing Cave In
bgehres Offline
100 Club
Joined: Mar 2005
Posts: 126
I was told by our regulator that any loan made where the primary source of repayment is the sale of the property can not be considered temporary financing, including construction loans.

I don't agree with them, but that doesn't really matter.

Return to Top
#482226 - 01/21/06 05:34 PM Re: HMDA Temporary Financing Cave In
Princess Romeo Offline

Power Poster
Princess Romeo
Joined: Jun 2001
Posts: 8,272
Where the heart is
Quote:

I was told by our regulator that any loan made where the primary source of repayment is the sale of the property can not be considered temporary financing, including construction loans.

I don't agree with them, but that doesn't really matter.




This is why David made the point that he did. Banks are not in a position to argue with their regulator when it seems their regulator has taken leave of their senses, so we need to get the various organizations involved to bring this to a head and get a uniform consensus and definition that does not leave room for such "imaginative" interpretation.

I have to wonder HOW someone can READ the HMDA regulation where it says point blank:

Section 203.4 Compilation of loan data.

(d) Excluded data. A financial institution
shall not report:

(3) Temporary financing (such as bridge or construction loans);


So how can you look at that and then say "You must report Construction loans?"
_________________________
CRCM,CAMS
Regulations are a poor substitute for ethics.
Just sayin'

Return to Top
#482227 - 01/23/06 06:35 PM Re: HMDA Temporary Financing Cave In
CRAatBOK Offline

Power Poster
Joined: Mar 2004
Posts: 6,172
Further South than I wanna be.
Quote:

Okay - I'll make the first comment/correction on "my" Temporary financing definition:

1. Temporary financing includes any loan for the initial construction of a dwelling provided that loan does not also include permanent financing.

2. Temporary financing is any loan, regardless of purpose, that is secured by a dwelling but where the loan is made on the premise that repayment of any of the principal loan balance will NOT come from the ordinary income or revenue of the borrower, but will come from either the sale of the property or from financing that will be repaid by ordinary income or revenue of the borrower.

3. Loans to finance the intial construction of more than a single 1-4 family dwelling are not reportable regardless of any principal reduction schedule.


This amendment is intended to clarify:

- Construction-perm loans ARE reportable.

- Interest-only payments would not disqualify a loan from being considered temporary

-Loans that have principal reductions during the term of the loan would no longer qualify as "temporary" (with the exception of loans described in item #3) so you don't have someone trying to pass off a 2 year loan with principal and interest payments as "temporary" because the borrower is still looking to sell the property.

-Make it clear that tract construction loans are not HMDA reportable even if there are principal reductions.


Any more thoughts?




I think you will need to come up with some clarification on "ordinary income". Can't have any gray areas.
_________________________
Life is not the way it's supposed to be. It's the way it is. The way you cope with it is what makes the difference.

Return to Top
#482228 - 02/01/06 07:22 PM Re: HMDA Temporary Financing Cave In
RR Joker Offline
10K Club
RR Joker
Joined: Nov 2002
Posts: 20,656
The Swamp
Just quickly, I spoke with our FED examiner a few minutes ago after Becca pointed me to this uproar...he said contruction and bridge loans were fine...but where we used to consider purchasing a home on a single-pay note, source of repayment resale...no longer would qualify. He said we will not be required to redo for 2005...and he recommended flagging our temps beginning 1-1-06 in case all the uproar causes a restatement of the answer and we end up needing to delete them. I did not request this in writing tho..sorry...Just thought you might want to hear something from an authority actually at the FED.
_________________________
My opinion only. Not legal advice.

Say you'll haunt me - Stone Sour

Return to Top
#482229 - 02/03/06 05:25 PM Re: HMDA Temporary Financing Cave In
bgehres Offline
100 Club
Joined: Mar 2005
Posts: 126
So according to your contact at the FED, is a loan used to construct a dwelling for resale fall under the "temporary financing" exemption?
Last edited by bgehres; 02/03/06 05:25 PM.
Return to Top
#482230 - 02/06/06 06:10 PM Re: HMDA Temporary Financing Cave In
CRAatBOK Offline

Power Poster
Joined: Mar 2004
Posts: 6,172
Further South than I wanna be.
Boy your examiners are nicer than mine. I had to go back and hunt all mine for 2005 and add them. I couldn't get anything in writing either, and I asked.
_________________________
Life is not the way it's supposed to be. It's the way it is. The way you cope with it is what makes the difference.

Return to Top
#482231 - 02/10/06 04:46 PM Re: HMDA Temporary Financing Cave In
Dan Persfull Offline
10K Club
Dan Persfull
Joined: Aug 2002
Posts: 47,712
Bloomington, IN
I spoke with my contact from the FDIC Chicago Regional Office yesterday. It looks like we will have to follow the FAQ posted on the FFIEC site.

He did say they are working on a new SCANS bulletin that will address the issue and they are also going to try to address a few of the questions that have been posted here. As soon as it is released (which will be a few weeks probably) I will share its content.
_________________________
The opinions expressed are mine and they are not to be taken as legal advice.

Return to Top
#482232 - 02/10/06 04:52 PM Re: HMDA Temporary Financing Cave In
rlcarey Online
10K Club
rlcarey
Joined: Jul 2001
Posts: 84,564
Galveston, TX
Great - just what we need is more regional interpretations.
_________________________
The opinions expressed here should not be construed to be those of my employer: PPDocs.com

Return to Top
#482233 - 02/10/06 04:53 PM Re: HMDA Temporary Financing Cave In
SMQ, CRCM Offline
Power Poster
SMQ, CRCM
Joined: Apr 2001
Posts: 4,828
Between the lines
I do not have to go back through the 2005 loans either - OCC. Flagging in 2006 is a good idea though.
_________________________
NOLA is my Beach!

Return to Top
#482234 - 02/10/06 08:29 PM Re: HMDA Temporary Financing Cave In
RR Joker Offline
10K Club
RR Joker
Joined: Nov 2002
Posts: 20,656
The Swamp
Quote:

So according to your contact at the FED, is a loan used to construct a dwelling for resale fall under the "temporary financing" exemption?




Yes.
_________________________
My opinion only. Not legal advice.

Say you'll haunt me - Stone Sour

Return to Top
#482235 - 02/10/06 08:47 PM Re: HMDA Temporary Financing Cave In
CRAatBOK Offline

Power Poster
Joined: Mar 2004
Posts: 6,172
Further South than I wanna be.
Quote:

I do not have to go back through the 2005 loans either - OCC. Flagging in 2006 is a good idea though.




Grrrr. Oh well, I will consider my experience as character building. At least now I will recognize some of the regular names that come up for 2006.
_________________________
Life is not the way it's supposed to be. It's the way it is. The way you cope with it is what makes the difference.

Return to Top
#482236 - 02/14/06 05:43 PM Re: HMDA Temporary Financing Cave In
Tesla Offline
Power Poster
Joined: Nov 2003
Posts: 3,738
Quote:

Quote:

So according to your contact at the FED, is a loan used to construct a dwelling for resale fall under the "temporary financing" exemption?




Yes.




Wouldn't this be 'no"?

Return to Top
#482237 - 02/14/06 06:47 PM Re: HMDA Temporary Financing Cave In
RR Joker Offline
10K Club
RR Joker
Joined: Nov 2002
Posts: 20,656
The Swamp
Quote:

Quote:

Quote:

So according to your contact at the FED, is a loan used to construct a dwelling for resale fall under the "temporary financing" exemption?




Yes.





Wouldn't this be 'no"?




No..it would be "yes"..temporary financing exemption:construction loans.

I have a huge feeling this "hurried" Q&A answer will be revisted...it's causing way too much conflict and will go nowhere towards uniform reporting.
_________________________
My opinion only. Not legal advice.

Say you'll haunt me - Stone Sour

Return to Top
#482238 - 02/14/06 07:19 PM Re: HMDA Temporary Financing Cave In
Tesla Offline
Power Poster
Joined: Nov 2003
Posts: 3,738
Quote:

Quote:

Quote:

Quote:

So according to your contact at the FED, is a loan used to construct a dwelling for resale fall under the "temporary financing" exemption?




Yes.





Wouldn't this be 'no"?




No..it would be "yes"..temporary financing exemption:construction loans.

I have a huge feeling this "hurried" Q&A answer will be revisted...it's causing way too much conflict and will go nowhere towards uniform reporting.




I agree, because I am completely confused now. In the example given, the source of repayment is the proceeds from the sale of the newly constructed house not permanent financing, right? I thought if the source of repayment for a loan was anything other than permanent financing - you had to report it. Isn't that what all the confusion is about?

Return to Top
#482239 - 02/14/06 07:34 PM Re: HMDA Temporary Financing Cave In
Dani York, CRCM Offline
Power Poster
Dani York, CRCM
Joined: Apr 2005
Posts: 3,663
TN
I don't believe the initial construction loan would. I say this because construction loans are specifically mentioned as temporary financing in the Q&A.
_________________________
I can't herd the cats anymore, so I just set up the electric fences and let them fry when they stray out of bounds.

Return to Top
#482240 - 02/14/06 07:53 PM Re: HMDA Temporary Financing Cave In
Reed Offline
Diamond Poster
Reed
Joined: Sep 2005
Posts: 1,251
West Coast
What got this whole thread going was that I asked that question and got an entirely different response. Unless someone is holding out on us, I don't believe that anyone has gotten a real definitive answer from someone that counts on this yet.

Return to Top
#482241 - 02/14/06 08:11 PM Re: HMDA Temporary Financing Cave In
David Dickinson Offline
10K Club
David Dickinson
Joined: Nov 2000
Posts: 18,765
Central City, NE
Quote:

So according to your contact at the FED, is a loan used to construct a dwelling for resale fall under the "temporary financing" exemption?



I agree this is still exempt. This is what I call a "spec. house loan". This is NOT the same as a "splash and dash" or "rehab" loan. Those are purchases and the new FAQ makes it clear they are to be reported because they aren't construction loans. A Spec. House loan is a construction loan and clearly (at least to me ) meets the exemption.
_________________________
David Dickinson
http://www.bankerscompliance.com

Return to Top
#482242 - 02/14/06 10:14 PM Re: HMDA Temporary Financing Cave In
Bullseye Offline
Platinum Poster
Bullseye
Joined: Jan 2004
Posts: 968
FWIW, our regulator (KC FDIC) agrees with David. They said a loan to construct a home & sell it (spec home) is construction & therefore not reportable. A loan to purchase, fix up & sell a dwelling (splash & dash) is reportable.

Return to Top
#482243 - 02/15/06 01:38 PM Re: HMDA Temporary Financing Cave In
Reed Offline
Diamond Poster
Reed
Joined: Sep 2005
Posts: 1,251
West Coast
Sweet! that's the clarification I've been waiting for.

Return to Top
#482244 - 02/15/06 01:48 PM Re: HMDA Temporary Financing Cave In
Dan Persfull Offline
10K Club
Dan Persfull
Joined: Aug 2002
Posts: 47,712
Bloomington, IN
Things that make you go hmmmmmm. . . . . .

Federal Register / Vol. 67, No. 32 / Friday, February 15, 2002 / Rules and Regulations Page 7231

Temporary Financing Regulation C generally does not permit lenders to report temporary financing. The Board has not amended these rules. The Board believes that, although in some cases the data would not be duplicative—such as where a lender originates construction loans but does not offer permanent financing these instances appear to be relatively few. Time Period. The Board requested comment on whether the regulation should define ‘‘temporary loans’’ in terms of a time period. A few financial institutions requested a definition that includes a specific time period. Upon further analysis, however, the Board believes that in the absence of any generally accepted time frame for ‘‘temporary financing,’’ it is impracticable to provide a ‘‘bright-line’’ test. Instead, the regulation will continue to offer examples, such as construction financing.
_________________________
The opinions expressed are mine and they are not to be taken as legal advice.

Return to Top
#482245 - 02/17/06 12:54 PM Re: HMDA Temporary Financing Cave In
bgehres Offline
100 Club
Joined: Mar 2005
Posts: 126
Quote:

FWIW, our regulator (KC FDIC) agrees with David. They said a loan to construct a home & sell it (spec home) is construction & therefore not reportable. A loan to purchase, fix up & sell a dwelling (splash & dash) is reportable.



That’s exactly the opposite interpretation that I received from our fed office. I’m glad to see all the regulators are on the same page with this.

Return to Top
#482246 - 02/17/06 02:21 PM Re: HMDA Temporary Financing Cave In
Sinatra Fan Offline
Power Poster
Sinatra Fan
Joined: Jul 2002
Posts: 5,568
New Jersey
"I'm from the government, and I'm here to obfuscate."
_________________________
Management is doing things right; leadership is doing the right things. Peter Drucker

Return to Top
#482247 - 02/17/06 02:26 PM Re: HMDA Temporary Financing Cave In
Dan Persfull Offline
10K Club
Dan Persfull
Joined: Aug 2002
Posts: 47,712
Bloomington, IN
Quote:

I’m glad to see all the regulators are on the same page with this.




From my conversation with my contact out of Chicago - your regulator's interpretation won't hold water - the only interpretation that will count will be that of the Board. They (you're regulator) can only give you guidance - but the Board has the final say in the interpretation.
_________________________
The opinions expressed are mine and they are not to be taken as legal advice.

Return to Top
#482248 - 02/17/06 03:20 PM Re: HMDA Temporary Financing Cave In
COMPLIcated Offline
Diamond Poster
Joined: Mar 2003
Posts: 1,035
OK
Our FDIC contact in Oklahoma City which covers the Dallas Region said that a construction loan to construct a personal residence, a spec home, or a custom home does fall under the temporary financing exclusion. He also said that we were to report home purchases that are investment properties to be resold (whether improvements were made or not). FWIW - he also said that we were still to exempt bridge loans and we could use whatever our bank defines as a bridge loan.

Return to Top
Page 4 of 7 1 2 3 4 5 6 7

Moderator:  Andy_Z