Testimony, Comments, Correspondence
NCSHA Submits Comments to Treasury and IRS in Response to Notice 2016-77
NCSHA submitted comments to Treasury and IRS in response to Notice 2016-77 regarding whether Treasury and IRS should issue guidance clarifying the Low Income Housing Tax Credit (Housing Credit) statute's required preference for projects located in a Qualified Census Tract (QCT) that are subject to a concerted community revitalization plan.
NCSHA Comments to CFPB on Concurrent Rule Exempting HFAS from Ability-to-Repay/QM Rule
On behalf of the state Housing Finance Agencies (HFAs) it represents, the National Council of State Housing Agencies (NCSHA) appreciates the opportunity to comment on the Consumer Financial Protection Bureau’s (CFPB) January 10 proposed rule amending the Ability-to-Repay standards under the Truth in Lending Act.
NCSHA Comments to CFPB on Integrated TILA/RESPA Disclosure Forms
On behalf of the state Housing Finance Agencies (HFAs) it represents, the National Council of State Housing Agencies (NCSHA) appreciates the opportunity to comment on the Consumer Financial Protection Bureau’s (CFPB) July 9 proposed rule integrating the disclosures required under the Real Estate Settlement Procedures Act (RESPA) and the Truth in Lending Act (TILA).