SlideShare a Scribd company logo
1 of 5
Download to read offline
Johnson–Crapo Housing Finance Reform Misguided
Senators Tim Johnson (D?SD) and Mike Crapo (R?ID) have released a new housing finance reform
bill, and as expected, it is very similar to the bill that Senators Bob Corker (R?TN) and Mark Warner
(D?VA) released last June.
Both Senate proposals would wind down the government-sponsored enterprises (GSEs) Fannie Mae
and Freddie Mac, but both would also replace the GSEs with a new government agency. Both bills
magnify the problems that contributed to the 2008 financial crisis, but the Johnson?Crapo bill goes
even further than the Corker?Warner approach.
The Federal Mortgage Insurance Corporation (FMIC)
The centerpiece of the Johnson?Crapo legislation is the Federal Mortgage Insurance Corporation
(FMIC), a new government entity that serves several purposes. First, the FMIC acts as a new federal
regulator of the mortgage industry, designed to monitor the safety and soundness of various
financial institutions. The current regulator of the GSEs, the Federal Housing Finance Agency,
would become an independent agency within the FMIC.
Another key FMIC function is to administer a special fund to cover losses on mortgage-backed
securities (MBS). Essentially, the FMIC is designed to take over the insurance function that the
current GSEs provide on MBS. The FMIC would provide an explicit taxpayer guarantee of 90 percent
of losses on these securities, whereas Fannie and Freddie provided an implicit federal backing of
losses. Proponents of this new approach argue that it improves the old system because the FMIC
requires private capital to share in the losses.
In particular, Johnson?Crapo requires a 10 percent first-loss provision. The idea is that the FMIC
picks up the tab only after losses exceed the amount put up by private investors, thus providing a
?risk-sharing mechanism.?
There are at least two problems with this logic. First, this mechanism allows private investors to
price their own risk knowing that their losses are capped, thus leading to more risk taking. Second,
Section 305 of Johnson?Crapo allows the FMIC to waive the risk-sharing provision in the event of a
financial crisis (up to three times in any three-year period).
In other words, 90 percent of private investors? losses will be covered unless there is a national
crisis, in which case they would lose nothing.[1] As the 2008 crisis made clear, these are the kinds of
government guarantees that lead to more leverage in the economy, thus magnifying underlying
economic risks.
Advocates of this approach claim that such risk sharing does not amount to a taxpayer-funded
bailout because the FMIC provides loss coverage through a federal mortgage insurance fund, which
in turn is funded by user fees that MBS investors would pay. The reality, though, is that these types
of government funds merely amount to obligations that, in the event of a crisis, would simply be paid
from tax revenue. In fact, Section 303(d)(9) states:
The full faith and credit of the United States is pledged to the payment of all amounts from the
Mortgage Insurance Fund which may be required to be paid under any insurance provided under
this title.
This provision is more than a minor footnote to the first-loss provision and the supposed taxpayer
protections in the Johnson?Crapo bill. The bill makes it clear to all investors that taxpayers will be on
the hook for losses in a crisis, just as they were under the old GSE system. But now there is an
explicit statement and a known maximum loss.
The FMIC and Affordable Housing Goals
The Johnson?Crapo bill claims to end the affordable housing goals of the old GSE system, and
technically it does.[2] However, it replaces these goals with a more nebulous mandate. Section 210
gives the FMIC the explicit purpose of ensuring ?equitable access to lenders and borrowers.? This
section of the bill even requires the FMIC to define segments of the ?primary mortgage market in
which lenders and eligible borrowers have been determined to lack equitable access to the housing
finance system.?[3] The bill then provides an example of the ?traditionally? underserved markets
that the FMIC may define, a list that closely follows the groups included in the GSEs? housing goals.
In addition to this general expansion of the idea behind the affordable housing goals, the
Johnson?Crapo bill makes several specific changes ostensibly related to low-income housing. The bill
expands both the base and the rate for the national Housing Trust Fund and the Capital Magnet
Fund.[4] While current law would apply a 4.2 basis point fee to the GSEs? new purchases of
mortgages, the Senate bills increase the fee to 10 basis points and apply that rate to the outstanding
principal of mortgages eligible for FMIC purchase.
In other words, money would be supplied to both of these housing funds at a higher rate than under
current law, and the annual amount would be sure to grow because each year?s purchases raise the
outstanding principal. Aside from these specific increases, Title V of Johnson?Crapo also gives the
FMIC the flexibility to adjust the fees it charges individual participants in the secondary market
based (partly) on their record in underserved markets.
Section 504 also creates the new Market Access Fund with the explicit purpose of providing grants
?to address the homeownership and rental housing needs of extremely low-, very low-, low-, and
moderate-income and underserved or hard-to-serve populations.? Collectively, these funds would
result in even more money being doled out as block grants to so-called affordable housing groups for
programs that are difficult to monitor and nearly impossible to evaluate. Compounding this problem
is the fact that the FMIC would serve both as the overseer of this affordable housing mission and as
the industry?s safety and soundness regulator?a feature of the old system that failed miserably.
What Congress Should Do
Congress should:
Reject the approaches being offered in the Senate bills. Both of these policies provide explicit
taxpayer guarantees that are not necessary.
Adopt a policy that gets the federal government out of the U.S. housing finance market. One good
example of such a plan is in House Financial Services Committee Chairman Jeb Hensarling?s (R?TX)
Protecting American Taxpayers and Homeowners (PATH) Act.
Prevent a Government Takeover
The Johnson?Crapo bill, like the Corker?Warner proposal, contains policy that is misguided for
numerous reasons. Johnson?Crapo creates a new government entity with an ill-defined affordable
housing mandate and the explicit authority to protect MBS investors in the event of a financial crisis.
If the Senate?s approach is adopted, banks will be the only segment of the market left without an
explicit guarantee against mortgage losses.
The Senate bills would not help people buy homes; they would only protect investors and special
interests at taxpayers? expense.
?Norbert J. Michel, PhD, is a Research Fellow in Financial Regulations in the Thomas A. Roe
Institute for Economic Policy Studies and John L. Ligon is Senior Policy Analyst in the Center for
Data Analysis at The Heritage Foundation.
[1] It could be argued that certain companies in the system envisioned under Johnson?Crapo would
not receive full protection, but exactly how such a scenario would work is unclear.
[2] Press release, ?Johnson, Crapo Announce Agreement on Housing Finance Reform,? Committee
on Banking, Housing, and Urban Affairs, U.S. Senate, March 11, 2014,
http://www.banking.senate.gov/public/index.cfm?FuseAction=Newsroom.PressReleases&ContentRec
ord_id=ef6c85f2-9ba5-ccf0-6a01-1d83fcf2f502 (accessed March 23, 2014.)
[3] The FMIC can define up to eight such segments in the primary market (i.e., the market where
individuals borrow money to purchase a home as opposed to the secondary market, where those
mortgages are sold as part of MBS).
[4] Corker?Warner also proposes to expand these funds. See Norbert Michel and John Ligon, ?GSE
Reform: Trust Funds or Slush Funds?? Heritage Foundation Issue Brief No. 4080, November 7,
2013,
http://www.heritage.org/research/reports/2013/11/gse-reform-affordable-housing-trust-funds-or-slus
h-funds. ?
http://www.heritage.org/research/reports/2014/03/johnsoncrapo-housing-finance-reform-misguided

More Related Content

What's hot

BBA Seminar Notes.21.11.2011
BBA Seminar Notes.21.11.2011BBA Seminar Notes.21.11.2011
BBA Seminar Notes.21.11.2011JohnLunn
 
MF laws-CA-05-01
MF laws-CA-05-01MF laws-CA-05-01
MF laws-CA-05-01Mary Morgan
 
National settlement executive_summary
National settlement executive_summaryNational settlement executive_summary
National settlement executive_summaryCentury 21 Americana
 
Fed's 2020 quantitative easing debunked
Fed's 2020 quantitative easing debunkedFed's 2020 quantitative easing debunked
Fed's 2020 quantitative easing debunkedThe1 Uploader
 
Transferring Credit Risk on Mortgages Guaranteed by Fannie Mae or Freddie Mac
Transferring Credit Risk on Mortgages Guaranteed by Fannie Mae or Freddie MacTransferring Credit Risk on Mortgages Guaranteed by Fannie Mae or Freddie Mac
Transferring Credit Risk on Mortgages Guaranteed by Fannie Mae or Freddie MacCongressional Budget Office
 
Rethinking Sovereign Debt
Rethinking Sovereign DebtRethinking Sovereign Debt
Rethinking Sovereign DebtLuca Amorello
 
Overview of Dodd Frank Recovery and Resolution Planning
Overview of Dodd Frank Recovery and Resolution PlanningOverview of Dodd Frank Recovery and Resolution Planning
Overview of Dodd Frank Recovery and Resolution PlanningLewis Adams
 
Interest Only Why all the interest
Interest Only Why all the interestInterest Only Why all the interest
Interest Only Why all the interestwindiee Green
 
Soa chicago2011 10-12-dodd-frank-frings
Soa chicago2011 10-12-dodd-frank-fringsSoa chicago2011 10-12-dodd-frank-frings
Soa chicago2011 10-12-dodd-frank-fringsmfrings
 
Restructuring and Due Diligence: The Front-End of Puerto Rico Debt
Restructuring and Due Diligence: The Front-End of Puerto Rico DebtRestructuring and Due Diligence: The Front-End of Puerto Rico Debt
Restructuring and Due Diligence: The Front-End of Puerto Rico DebtMaria de los Angeles TRIGO
 
1-10-Mortgage-Banking-regulatory-reform-here-and-now
1-10-Mortgage-Banking-regulatory-reform-here-and-now1-10-Mortgage-Banking-regulatory-reform-here-and-now
1-10-Mortgage-Banking-regulatory-reform-here-and-nowJohn I. Vong
 
Puerto Rico- Distressed Debt Strategy. Duke GS Trade Pitch Competition
Puerto Rico- Distressed Debt Strategy. Duke GS Trade Pitch CompetitionPuerto Rico- Distressed Debt Strategy. Duke GS Trade Pitch Competition
Puerto Rico- Distressed Debt Strategy. Duke GS Trade Pitch CompetitionJulio Cesar
 

What's hot (19)

Fixing the Housing Market
Fixing the Housing MarketFixing the Housing Market
Fixing the Housing Market
 
BBA Seminar Notes.21.11.2011
BBA Seminar Notes.21.11.2011BBA Seminar Notes.21.11.2011
BBA Seminar Notes.21.11.2011
 
MF laws-CA-05-01
MF laws-CA-05-01MF laws-CA-05-01
MF laws-CA-05-01
 
National settlement executive_summary
National settlement executive_summaryNational settlement executive_summary
National settlement executive_summary
 
National settlement executive_summary
National settlement executive_summaryNational settlement executive_summary
National settlement executive_summary
 
Fair Credit and Fair Housing in the Wake of the Subprime and Foreclosure Crisis
Fair Credit and Fair Housing in the Wake of the Subprime and Foreclosure CrisisFair Credit and Fair Housing in the Wake of the Subprime and Foreclosure Crisis
Fair Credit and Fair Housing in the Wake of the Subprime and Foreclosure Crisis
 
Fed's 2020 quantitative easing debunked
Fed's 2020 quantitative easing debunkedFed's 2020 quantitative easing debunked
Fed's 2020 quantitative easing debunked
 
Transferring Credit Risk on Mortgages Guaranteed by Fannie Mae or Freddie Mac
Transferring Credit Risk on Mortgages Guaranteed by Fannie Mae or Freddie MacTransferring Credit Risk on Mortgages Guaranteed by Fannie Mae or Freddie Mac
Transferring Credit Risk on Mortgages Guaranteed by Fannie Mae or Freddie Mac
 
Mortgage market
Mortgage marketMortgage market
Mortgage market
 
Rethinking Sovereign Debt
Rethinking Sovereign DebtRethinking Sovereign Debt
Rethinking Sovereign Debt
 
Overview of Dodd Frank Recovery and Resolution Planning
Overview of Dodd Frank Recovery and Resolution PlanningOverview of Dodd Frank Recovery and Resolution Planning
Overview of Dodd Frank Recovery and Resolution Planning
 
Interest Only Why all the interest
Interest Only Why all the interestInterest Only Why all the interest
Interest Only Why all the interest
 
Soa chicago2011 10-12-dodd-frank-frings
Soa chicago2011 10-12-dodd-frank-fringsSoa chicago2011 10-12-dodd-frank-frings
Soa chicago2011 10-12-dodd-frank-frings
 
Restructuring and Due Diligence: The Front-End of Puerto Rico Debt
Restructuring and Due Diligence: The Front-End of Puerto Rico DebtRestructuring and Due Diligence: The Front-End of Puerto Rico Debt
Restructuring and Due Diligence: The Front-End of Puerto Rico Debt
 
1-10-Mortgage-Banking-regulatory-reform-here-and-now
1-10-Mortgage-Banking-regulatory-reform-here-and-now1-10-Mortgage-Banking-regulatory-reform-here-and-now
1-10-Mortgage-Banking-regulatory-reform-here-and-now
 
The Dodd-Frank Act
The Dodd-Frank ActThe Dodd-Frank Act
The Dodd-Frank Act
 
Nar mba fhfa comment letter
Nar mba fhfa comment letterNar mba fhfa comment letter
Nar mba fhfa comment letter
 
Consumer Financial Rights
Consumer Financial RightsConsumer Financial Rights
Consumer Financial Rights
 
Puerto Rico- Distressed Debt Strategy. Duke GS Trade Pitch Competition
Puerto Rico- Distressed Debt Strategy. Duke GS Trade Pitch CompetitionPuerto Rico- Distressed Debt Strategy. Duke GS Trade Pitch Competition
Puerto Rico- Distressed Debt Strategy. Duke GS Trade Pitch Competition
 

Viewers also liked

Updating Security Operations for the Cloud
Updating Security Operations for the CloudUpdating Security Operations for the Cloud
Updating Security Operations for the CloudAmazon Web Services
 
Harju -Jaani uue kiriku lugu
Harju -Jaani uue kiriku luguHarju -Jaani uue kiriku lugu
Harju -Jaani uue kiriku lugumeiekogukond
 
Benemérita universidad autónoma de puebla
Benemérita universidad autónoma de pueblaBenemérita universidad autónoma de puebla
Benemérita universidad autónoma de pueblaDaniel Morales
 
How Google Hangouts Can increase Leads, Customers and profits
How Google Hangouts Can increase Leads, Customers and profitsHow Google Hangouts Can increase Leads, Customers and profits
How Google Hangouts Can increase Leads, Customers and profitsCarol Dodsley
 
CRANCHI Endurance 39, 2000, £67,950 For Sale Brochure. Presented By yachtinge...
CRANCHI Endurance 39, 2000, £67,950 For Sale Brochure. Presented By yachtinge...CRANCHI Endurance 39, 2000, £67,950 For Sale Brochure. Presented By yachtinge...
CRANCHI Endurance 39, 2000, £67,950 For Sale Brochure. Presented By yachtinge...Wolfgang Stolle
 
Ετήσια απογραφή 2013-2014 Επαγγελματικών Λυκείων Περ. Ενότητας Φλώρινας
Ετήσια απογραφή 2013-2014 Επαγγελματικών Λυκείων Περ. Ενότητας ΦλώριναςΕτήσια απογραφή 2013-2014 Επαγγελματικών Λυκείων Περ. Ενότητας Φλώρινας
Ετήσια απογραφή 2013-2014 Επαγγελματικών Λυκείων Περ. Ενότητας ΦλώριναςΔΔΕ Φλώρινας
 
Portafolio Diagnostico
Portafolio DiagnosticoPortafolio Diagnostico
Portafolio Diagnosticogabrielarevelo
 

Viewers also liked (16)

Ms Excel-lesson
Ms Excel-lessonMs Excel-lesson
Ms Excel-lesson
 
Suhesiak
Suhesiak Suhesiak
Suhesiak
 
Updating Security Operations for the Cloud
Updating Security Operations for the CloudUpdating Security Operations for the Cloud
Updating Security Operations for the Cloud
 
Harju -Jaani uue kiriku lugu
Harju -Jaani uue kiriku luguHarju -Jaani uue kiriku lugu
Harju -Jaani uue kiriku lugu
 
Benemérita universidad autónoma de puebla
Benemérita universidad autónoma de pueblaBenemérita universidad autónoma de puebla
Benemérita universidad autónoma de puebla
 
Bruixa
BruixaBruixa
Bruixa
 
How Google Hangouts Can increase Leads, Customers and profits
How Google Hangouts Can increase Leads, Customers and profitsHow Google Hangouts Can increase Leads, Customers and profits
How Google Hangouts Can increase Leads, Customers and profits
 
my resume new
my resume newmy resume new
my resume new
 
Monster Resume 2016
Monster Resume 2016Monster Resume 2016
Monster Resume 2016
 
CRANCHI Endurance 39, 2000, £67,950 For Sale Brochure. Presented By yachtinge...
CRANCHI Endurance 39, 2000, £67,950 For Sale Brochure. Presented By yachtinge...CRANCHI Endurance 39, 2000, £67,950 For Sale Brochure. Presented By yachtinge...
CRANCHI Endurance 39, 2000, £67,950 For Sale Brochure. Presented By yachtinge...
 
Doc1
Doc1Doc1
Doc1
 
Llanars-1
Llanars-1Llanars-1
Llanars-1
 
Ετήσια απογραφή 2013-2014 Επαγγελματικών Λυκείων Περ. Ενότητας Φλώρινας
Ετήσια απογραφή 2013-2014 Επαγγελματικών Λυκείων Περ. Ενότητας ΦλώριναςΕτήσια απογραφή 2013-2014 Επαγγελματικών Λυκείων Περ. Ενότητας Φλώρινας
Ετήσια απογραφή 2013-2014 Επαγγελματικών Λυκείων Περ. Ενότητας Φλώρινας
 
Portafolio Diagnostico
Portafolio DiagnosticoPortafolio Diagnostico
Portafolio Diagnostico
 
Ms Word-lesson
Ms Word-lessonMs Word-lesson
Ms Word-lesson
 
Aquário planejamento
Aquário  planejamentoAquário  planejamento
Aquário planejamento
 

Similar to Johnson–Crapo Housing Finance Reform Misguided

Jacobs Dofdd Frank&Basel3 Risk Nov11 11 8 11 V1
Jacobs Dofdd Frank&Basel3 Risk Nov11 11 8 11 V1Jacobs Dofdd Frank&Basel3 Risk Nov11 11 8 11 V1
Jacobs Dofdd Frank&Basel3 Risk Nov11 11 8 11 V1Michael Jacobs, Jr.
 
TILA-RESPA Short Essay
TILA-RESPA Short EssayTILA-RESPA Short Essay
TILA-RESPA Short EssayKristina Kivi
 
The Federal Response to The 2008 Financial Crisis
The Federal Response to The 2008 Financial CrisisThe Federal Response to The 2008 Financial Crisis
The Federal Response to The 2008 Financial CrisisYamen Nanne
 
Moderninizing bank supervision and regulation
Moderninizing bank supervision and regulationModerninizing bank supervision and regulation
Moderninizing bank supervision and regulationcatelong
 
Adams Bankruptcy 1122 Edited Final
Adams Bankruptcy 1122 Edited FinalAdams Bankruptcy 1122 Edited Final
Adams Bankruptcy 1122 Edited FinalBinkie1955
 
THE SECOND GREAT DEPRESSION
 THE SECOND GREAT DEPRESSION THE SECOND GREAT DEPRESSION
THE SECOND GREAT DEPRESSIONAngela Romero
 
The Credit Crisis
The Credit CrisisThe Credit Crisis
The Credit Crisislazzerir
 
Too Big to Fail Whitepaper FINAL 6pgs 03 02 11
Too Big to Fail Whitepaper FINAL 6pgs 03 02 11Too Big to Fail Whitepaper FINAL 6pgs 03 02 11
Too Big to Fail Whitepaper FINAL 6pgs 03 02 11Marti Kopacz
 
Mortgage Market Presentation Pt. 1 & 2
Mortgage Market Presentation Pt. 1 & 2Mortgage Market Presentation Pt. 1 & 2
Mortgage Market Presentation Pt. 1 & 2lerogers
 
The Financial Crisis of 2007-2009
The Financial Crisis of 2007-2009The Financial Crisis of 2007-2009
The Financial Crisis of 2007-2009LucianDronca
 
Global Financial Institutions final exam
Global Financial Institutions final examGlobal Financial Institutions final exam
Global Financial Institutions final examBenjamin Morley
 

Similar to Johnson–Crapo Housing Finance Reform Misguided (13)

CDO Rating
CDO RatingCDO Rating
CDO Rating
 
Jacobs Dofdd Frank&Basel3 Risk Nov11 11 8 11 V1
Jacobs Dofdd Frank&Basel3 Risk Nov11 11 8 11 V1Jacobs Dofdd Frank&Basel3 Risk Nov11 11 8 11 V1
Jacobs Dofdd Frank&Basel3 Risk Nov11 11 8 11 V1
 
TILA-RESPA Short Essay
TILA-RESPA Short EssayTILA-RESPA Short Essay
TILA-RESPA Short Essay
 
The Federal Response to The 2008 Financial Crisis
The Federal Response to The 2008 Financial CrisisThe Federal Response to The 2008 Financial Crisis
The Federal Response to The 2008 Financial Crisis
 
Moderninizing bank supervision and regulation
Moderninizing bank supervision and regulationModerninizing bank supervision and regulation
Moderninizing bank supervision and regulation
 
Adams Bankruptcy 1122 Edited Final
Adams Bankruptcy 1122 Edited FinalAdams Bankruptcy 1122 Edited Final
Adams Bankruptcy 1122 Edited Final
 
THE SECOND GREAT DEPRESSION
 THE SECOND GREAT DEPRESSION THE SECOND GREAT DEPRESSION
THE SECOND GREAT DEPRESSION
 
Mortgage backed securities
Mortgage backed securitiesMortgage backed securities
Mortgage backed securities
 
The Credit Crisis
The Credit CrisisThe Credit Crisis
The Credit Crisis
 
Too Big to Fail Whitepaper FINAL 6pgs 03 02 11
Too Big to Fail Whitepaper FINAL 6pgs 03 02 11Too Big to Fail Whitepaper FINAL 6pgs 03 02 11
Too Big to Fail Whitepaper FINAL 6pgs 03 02 11
 
Mortgage Market Presentation Pt. 1 & 2
Mortgage Market Presentation Pt. 1 & 2Mortgage Market Presentation Pt. 1 & 2
Mortgage Market Presentation Pt. 1 & 2
 
The Financial Crisis of 2007-2009
The Financial Crisis of 2007-2009The Financial Crisis of 2007-2009
The Financial Crisis of 2007-2009
 
Global Financial Institutions final exam
Global Financial Institutions final examGlobal Financial Institutions final exam
Global Financial Institutions final exam
 

Johnson–Crapo Housing Finance Reform Misguided

  • 1. Johnson–Crapo Housing Finance Reform Misguided Senators Tim Johnson (D?SD) and Mike Crapo (R?ID) have released a new housing finance reform bill, and as expected, it is very similar to the bill that Senators Bob Corker (R?TN) and Mark Warner (D?VA) released last June. Both Senate proposals would wind down the government-sponsored enterprises (GSEs) Fannie Mae and Freddie Mac, but both would also replace the GSEs with a new government agency. Both bills magnify the problems that contributed to the 2008 financial crisis, but the Johnson?Crapo bill goes even further than the Corker?Warner approach. The Federal Mortgage Insurance Corporation (FMIC) The centerpiece of the Johnson?Crapo legislation is the Federal Mortgage Insurance Corporation (FMIC), a new government entity that serves several purposes. First, the FMIC acts as a new federal regulator of the mortgage industry, designed to monitor the safety and soundness of various financial institutions. The current regulator of the GSEs, the Federal Housing Finance Agency, would become an independent agency within the FMIC. Another key FMIC function is to administer a special fund to cover losses on mortgage-backed securities (MBS). Essentially, the FMIC is designed to take over the insurance function that the current GSEs provide on MBS. The FMIC would provide an explicit taxpayer guarantee of 90 percent of losses on these securities, whereas Fannie and Freddie provided an implicit federal backing of losses. Proponents of this new approach argue that it improves the old system because the FMIC requires private capital to share in the losses.
  • 2. In particular, Johnson?Crapo requires a 10 percent first-loss provision. The idea is that the FMIC picks up the tab only after losses exceed the amount put up by private investors, thus providing a ?risk-sharing mechanism.? There are at least two problems with this logic. First, this mechanism allows private investors to price their own risk knowing that their losses are capped, thus leading to more risk taking. Second, Section 305 of Johnson?Crapo allows the FMIC to waive the risk-sharing provision in the event of a financial crisis (up to three times in any three-year period). In other words, 90 percent of private investors? losses will be covered unless there is a national crisis, in which case they would lose nothing.[1] As the 2008 crisis made clear, these are the kinds of government guarantees that lead to more leverage in the economy, thus magnifying underlying economic risks. Advocates of this approach claim that such risk sharing does not amount to a taxpayer-funded bailout because the FMIC provides loss coverage through a federal mortgage insurance fund, which in turn is funded by user fees that MBS investors would pay. The reality, though, is that these types of government funds merely amount to obligations that, in the event of a crisis, would simply be paid from tax revenue. In fact, Section 303(d)(9) states: The full faith and credit of the United States is pledged to the payment of all amounts from the Mortgage Insurance Fund which may be required to be paid under any insurance provided under
  • 3. this title. This provision is more than a minor footnote to the first-loss provision and the supposed taxpayer protections in the Johnson?Crapo bill. The bill makes it clear to all investors that taxpayers will be on the hook for losses in a crisis, just as they were under the old GSE system. But now there is an explicit statement and a known maximum loss. The FMIC and Affordable Housing Goals The Johnson?Crapo bill claims to end the affordable housing goals of the old GSE system, and technically it does.[2] However, it replaces these goals with a more nebulous mandate. Section 210 gives the FMIC the explicit purpose of ensuring ?equitable access to lenders and borrowers.? This section of the bill even requires the FMIC to define segments of the ?primary mortgage market in which lenders and eligible borrowers have been determined to lack equitable access to the housing finance system.?[3] The bill then provides an example of the ?traditionally? underserved markets that the FMIC may define, a list that closely follows the groups included in the GSEs? housing goals. In addition to this general expansion of the idea behind the affordable housing goals, the Johnson?Crapo bill makes several specific changes ostensibly related to low-income housing. The bill expands both the base and the rate for the national Housing Trust Fund and the Capital Magnet Fund.[4] While current law would apply a 4.2 basis point fee to the GSEs? new purchases of mortgages, the Senate bills increase the fee to 10 basis points and apply that rate to the outstanding principal of mortgages eligible for FMIC purchase.
  • 4. In other words, money would be supplied to both of these housing funds at a higher rate than under current law, and the annual amount would be sure to grow because each year?s purchases raise the outstanding principal. Aside from these specific increases, Title V of Johnson?Crapo also gives the FMIC the flexibility to adjust the fees it charges individual participants in the secondary market based (partly) on their record in underserved markets. Section 504 also creates the new Market Access Fund with the explicit purpose of providing grants ?to address the homeownership and rental housing needs of extremely low-, very low-, low-, and moderate-income and underserved or hard-to-serve populations.? Collectively, these funds would result in even more money being doled out as block grants to so-called affordable housing groups for programs that are difficult to monitor and nearly impossible to evaluate. Compounding this problem is the fact that the FMIC would serve both as the overseer of this affordable housing mission and as the industry?s safety and soundness regulator?a feature of the old system that failed miserably. What Congress Should Do Congress should: Reject the approaches being offered in the Senate bills. Both of these policies provide explicit taxpayer guarantees that are not necessary. Adopt a policy that gets the federal government out of the U.S. housing finance market. One good example of such a plan is in House Financial Services Committee Chairman Jeb Hensarling?s (R?TX) Protecting American Taxpayers and Homeowners (PATH) Act. Prevent a Government Takeover The Johnson?Crapo bill, like the Corker?Warner proposal, contains policy that is misguided for numerous reasons. Johnson?Crapo creates a new government entity with an ill-defined affordable housing mandate and the explicit authority to protect MBS investors in the event of a financial crisis. If the Senate?s approach is adopted, banks will be the only segment of the market left without an explicit guarantee against mortgage losses. The Senate bills would not help people buy homes; they would only protect investors and special interests at taxpayers? expense. ?Norbert J. Michel, PhD, is a Research Fellow in Financial Regulations in the Thomas A. Roe Institute for Economic Policy Studies and John L. Ligon is Senior Policy Analyst in the Center for Data Analysis at The Heritage Foundation. [1] It could be argued that certain companies in the system envisioned under Johnson?Crapo would not receive full protection, but exactly how such a scenario would work is unclear. [2] Press release, ?Johnson, Crapo Announce Agreement on Housing Finance Reform,? Committee on Banking, Housing, and Urban Affairs, U.S. Senate, March 11, 2014,
  • 5. http://www.banking.senate.gov/public/index.cfm?FuseAction=Newsroom.PressReleases&ContentRec ord_id=ef6c85f2-9ba5-ccf0-6a01-1d83fcf2f502 (accessed March 23, 2014.) [3] The FMIC can define up to eight such segments in the primary market (i.e., the market where individuals borrow money to purchase a home as opposed to the secondary market, where those mortgages are sold as part of MBS). [4] Corker?Warner also proposes to expand these funds. See Norbert Michel and John Ligon, ?GSE Reform: Trust Funds or Slush Funds?? Heritage Foundation Issue Brief No. 4080, November 7, 2013, http://www.heritage.org/research/reports/2013/11/gse-reform-affordable-housing-trust-funds-or-slus h-funds. ? http://www.heritage.org/research/reports/2014/03/johnsoncrapo-housing-finance-reform-misguided