Search Results for: Income Averaging
NCSHA Comments to CFPB on TILA Mortgage Servicing Rule
NCSHA supports CFPBās efforts to increase consumersā access to comprehensive and timely information about their home loans. However, we believe that the Bureau should also avoid imposing requirements that will overly burden small servicers with fewer resources. This includes not only small private servicers, but also instrumentalities of government (IOGs), including HFAs.
NCSHA Comments to CFPB High-Cost Mortgage Rule
NCSHA shares CFPBās goals of discouraging inappropriate lending practices and providing robust protections for borrowers who take out high-cost mortgages. However, we believe federal regulations must also ensure that responsible loans are not classified as high-cost. Consequently, we urge you to exempt HFA-financed loans from the application of the high-cost mortgage rule.
NYU Housing Credit Tenant Study
What Can We Learn about the Low Income Housing Tax Credit Program by Looking at the Tenants?