Does anyone see an issue with adding the ECOA appraisal notice language to the bottom of our Regulation B, Form C-8 - Sample Disclosure of Right To Request Specific Reasons for Credit Denial Given at the time of application for our business loan applicants? I am thinking of putting the following at the bottom, since it will not apply to the majority of applications:

FOR LOAN APPLICATIONS TO BE SECURED BY A FIRST LIEN ON A 1-4 FAMILY DWELLING ONLY
We may order an appraisal to determine the property’s value and charge you for this appraisal. We will promptly give you a copy of any appraisal, even if your loan does not close. You can pay for an additional appraisal for your own use at your own cost.