In 2018, the reporting requirements extend to more mortgage transactions. Today 2017 June, the HMDA reporting requirements apply only to
closed-end home purchase and home improvement loans and refinances.
As of January 1, 2018, the following loan types will be subject to reporting
requirements:
- Closed-end home purchase loans
- Closed-end refinances
- Closed-end home improvement loans
- Open-end mortgages
- Home equity lines of credit
- Reverse mortgages
(12 C.F.R. §1003.2(e))
The applicability of HMDA and Regulation C does not depend on the use of a
home as a principal dwelling. Therefore, even loans that are secured by second
homes, vacation homes, or rental properties are subject to the law (Official
Interpretations to 12 C.F.R. §1003.2(f), 1.). Simply stated, HMDA applies to
all dwelling-secured loans, and amended Regulation C broadly defines the term
“dwelling” to include most residential structures, including
detached homes, individual condominium or cooperative units, manufactured homes,
multifamily structures, and multifamily communities (12 C.F.R. §1003.2(f)).
Small companies must comply, keep records and report.
Seems like small mortgage banking or brokerages must hire legal
staff to keep up with the law
Exempt from HMDA’s reporting requirements:
- Loans secured by unimproved or vacant land, unless the lender knows that
loan proceeds will be used within two years of closing to construct a
dwelling
- Construction loans or bridge loans
- Loans for less than $500
- Loans secured by property used for agricultural purposes
- Loans secured by property used primarily for business or commercial
purposes
Other exemptions include transactions for the purchase of servicing rights to
a loan, mortgage loans acquired through mergers and acquisitions, and the
purchase of mortgage-backed securities. These exemptions are currently scattered
throughout the regulations, but the new rules that are effective in 2018 place
the HMDA exemptions in Section 1003.3(c) of Regulation C.
Data Collected for
HMDA Reporting until December 2017
- Loan information:
- An identifying number for the loan or loan application
- The purpose of the loan (home purchase, refinancing, home improvement)
- Lien status
- An indication of whether the related dwelling is owner-occupied
- Loan type (conventional, FHA, VA)
- Type of dwelling securing the loan (one- to four-family dwelling,
multifamily dwelling, manufactured home)
- Loan amount
- Application date
- Action taken on the loan (approval or denial) and date the action is
taken
- Location of the property related to the loan application
- Demographic information about the applicant (gender, race, ethnicity, and
gross income)
- Loan purchase information
- Loan pricing information (used to identify reverse redlining)
- Denials for pre-approval requests and information on
approvals that led to loans
- 2018, data collection categories, consisting of the current plus
the new categories:
- Identifiers for loans and lenders: A universal loan
identifier made up of 45 alpha-numeric characters will identify the loan or loan
application, and a 20-character alpha-numeric code will identify the financial
institution involved in the transaction.
- Underwriting information: The information related to
underwriting will include the loan applicant’s credit score, credit scoring
model, LTV ratio, DTI ratio, property value, and reason(s) for denying a loan
application.
- Demographic information: In addition to information already
reported, loan originators must report an applicant’s age and must offer
applicants the option of providing more details on their race and
ethnicity.
- Loan terms and pricing: New rules require the reporting
of a loan’s (or a proposed loan’s) APR, difference between the APR and average
prime offer rate, loan costs, points, lender credits, amounts disclosed as
borrower-paid, interest rate, prepayment penalty provisions, loan term, number
of months between origination and rate changes for ARMs, interest-only payments,
balloon payments, and any payment provisions resulting in negative
amortization.
- Property information: address, census tract, value of the property, and its use as a
residence, second home, or investment property.
- Identification of loan originator: Data reported for each
transaction must include the NMLS unique identifier of the mortgage loan
originator who provided loan origination services for the loan or
application.
- Disposition: Lenders must report approvals, denials, and an
applicant’s withdrawal of an application. Denials of requests for preapprovals
are also reported, and even if an approval does not lead to the origination of a
mortgage, the approval must be reported.
- Loan application channel: Lenders must indicate whether a
consumer submitted an application directly to a lender or to a mortgage
broker.
(12 C.F.R. §1003.4(a))