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NCSHA Comment Letter on FHFA’s RFI on Single-Family Social Bonds

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On May 17, 2023, NCSHA sent this letter to the Federal Housing Finance Agency (FHFA) in response to its February 16 Request for Input on Fannie Mae and Freddie Mac’s policies toward social bonds. In the letter, NCSHA argued that the Government Sponsored Enterprises (GSEs) issuing single-family mortgage securities classified as social bonds under the […]

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NCSHA Comment Letter on FHFA’s Proposed Amendments to GSE Capital Standards

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On May 12, 2023, NCSHA sent this letter to the Federal Housing Finance Agency (FHFA) in response to its proposed rule modifying several provisions of the Enterprise Regulatory Capital Framework (ERCF) for Fannie Mae and Freddie Mac. NCSHA expressed strong support for a provision of the proposed rule that would reduce by 40 percent the […]

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ACTION Letter to Senate Banking Committee in Advance of April 2023 Hearing on Affordable Housing

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On April 25, 2023, the ACTION Campaign, which NCSHA co-chairs, sent this letter to Senate Banking Committee Chair Sherrod Brown (D-OH) and Ranking Member Tim Scott (R-SC) in advance of the committee’s April 26 hearing on affordable housing, proactively addressing previous criticism of the Housing Credit program. View Document […]

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Underserved Mortgage Markets Coalition Press Release on FHFA Proposed Fair Lending Oversight Rule

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On April 19, 2023, NCSHA signed onto a press release by the Underserved Mortgage Markets Coalition (UMMC) regarding the Federal Housing Finance Agency’s proposed rule on Fair Lending Oversight. The press release expresses support for FHFA’s proposal to codify into federal regulations the requirement that Fannie Mae and Freddie Mac publish and maintain Equitable Housing […]

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