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20 Hour SAFE Comprehensive
Pre-Licensing and Exam Prep
C-12020
WA State Pre-Licensing
C-11978
Jillayne Schlicke
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Welcome!
Please complete the sign-in sheet, including an
address. If you’re not yet employed with a
mortgage company, use your home address.
Read and sign the NMLS Rules of Conduct for
Students.
Photo ID required. Any of these are fine:
Driver’s license, passport, state ID card,
military ID that contains both a picture and a
signature
2
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 1 Introduction
 Introduction of trainer
 Introduction of students
 Who are you
 Where do you work
 What do you do? LOA = Loan Originator Assistant
 Exam anxieties
3
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
4
Section 1 Module 1.1
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
5
Exam Components AS OF APRIL 5, 2021
24% Federal Law
20% General Mortgage Knowledge
programs, products, terms
27% Loan Origination Activities
application, qualifying, title, escrow, math
18% Ethics
consumer protection, fraud, fair housing
11% Uniform State Content
licensing law, prohibited practices
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
6
Content Area 2020 2021 Increase or
decrease?
Federal Law 23% 24% increase
Uniform State Content 13% 11% decrease
General Mortgage
Knowledge
23% 20% decrease
Loan Originator
Activities
25% 27% increase
Ethics: Consumer
Protection Fraud, Fair
Housing
16% 18% increase
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
7
Section 1 Module 1.1
Exam prep basics: If you understand the purpose of each
law, you are on your way to selecting the best answer
on a multiple choice exam.
There will be two obvious wrong answers. If you know
the purpose of the law, you will be able to spot
these. Of the two that remain, one will be a little bit
better than the other.
Exam writers do not write trick questions. The language
of the test questions look tricky because you are
being tested on law and most lay people are not use
to reading law on a daily basis. This is the only fair
way to deliver a 50-state exam.
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Question
a.
b. ______________________
c. __________ _______
d.
8
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
9
Section 1 Module 1.1
What’s your learning style?
Auditory-learns by listening
Visual-learns by processing images
Tactile-learns best when writing
Whole Body-learns best when entire body is engaged
Emotional-learns best when complex info can be tied to
an emotion
Verbal-will send link to article about this learning style
https://www.brightoncollege.edu/study-tips-for-verbal-learners/
Learning disabilities-
You may be eligible for extra accommodations if you have a
diagnosed learning disability. Contact the NMLS after reading
the exam candidate handbook.
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 1 Module 1.2
History of Mortgage Lending in America
National Bank Act
Federal Reserve Act
Thrift Institutions
Mortgage Lending Prior to Great Depression
Government Involvement in Banking
FHA, Fannie Mae, VA, USDA
1940s through present day
10
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.0
Depository Bank
Checking,
savings
CAN fund its
own loans
LOs are
“registered”
11
Mortgage Broker
No ck/svgs
Does NOT fund its
own loans
Pure middleman
For a fee, finds the
mortgage money
LOs are licensed.
In some states,
these LOs owe
fiduciary duties
to clients
Non-Depository
Lender
Non-Bank Lender
No ck/svgs
CAN fund its
own loans via
lines of credit
with banks
LOs are licensed
Consumer Loan
Act
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
The Mortgage Machine
A mortgage is like a machine with many moving parts.
Shout out all the different entities/different jobs that
are involved with creating a mortgage loan….
12
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
The Mortgage Machine
What are the different pieces of the mortgage
machine?
Loan originators...
13
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.1
There are many
moving parts in
the Mortgage
Machine. The
function of loan
origination is just
one piece.
14
Loan Originator
Loan Processor
Underwriter
Funder, Quality Control
Title Insurance
Escrow
Appraiser
Insurance
Builders
Realtors
Secondary Market
Loan Servicing
Regulators and Examiners
Consumer
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Definition of an LO
Licensed
(6) MORTGAGE LOAN ORIGINATOR—
(a) IN GENERAL—The term ‘‘mortgage loan originator’’—
(i) Means an individual who for compensation or gain or in the expectation of
compensation or gain—
(A) Takes a residential mortgage loan application; or
(B) Offers or negotiates terms of a residential mortgage loan;
(ii) Does not include an individual engaged solely as a loan processor or
underwriter.
(iii) Does not include a person or entity that only performs real estate
brokerage activities and is licensed or registered in accordance with state law,
unless the person or entity is compensated by a lender, a mortgage broker, or
other mortgage loan originator or by any agent of such lender, mortgage
broker, or other mortgage loan originator; and
(iv) Does not include a person or entity solely involved in extensions of credit
relating to timeshare plans, as that term is defined in section 101(53D) of title
11, United States
15
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Licensed Loan Originator
The term ‘‘mortgage loan originator’’
Means an individual who for compensation or gain
or in the expectation of compensation or gain
Takes a residential mortgage loan application;
or
Offers* or negotiates terms of a residential
mortgage loan;
*Example: Advertising, quoting rates, fees loan
programs. That would include social media posts
16
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Processing and Underwriting
Processor
Analyzes documents
Calls borrower and
asks questions
Prepares the file for
underwriting
Will be the person
you’ll go to with
questions, when you
can’t reach your
boss.
17
Underwriter
Makes sure the loan
conforms to all
guidelines set forth by
the secondary market.
Makes sure the
borrower qualifies
4Cs
Character
Capacity
Capital
Collateral
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
18
Section 2 Module 2.2
RESIDENTIAL LOAN APPLICATION
~
The acronym ALIENS can help you
remember the six pieces of
information that constitute a loan
application:
~
Address
Loan amount
Income
Estimated value of the home
Name
Social security number
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
19
Section 2 Module 2.2
Break into small groups and talk about
sections of the loan application
 What sections might the customers ask you
about?
 What sections might the customer consider
lying?
 What sections might the customer refuse
to provide information?
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
20
Section 2 Module 2.2
Large group discussion:
Occupancy
Assets
Date of Birth
Former employer
Ways of holding title
Acknowledgement, signature
Other Real Estate Owned
Marital Status
HMDA (Home Mortgage Disclosure Act)
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Fannie Mae Deed of Trust
6. Occupancy. Borrower shall occupy, establish,
and use the Property as Borrower’s principal
residence within 60 days after the execution of this
Security Instrument and shall continue to occupy the
Property as Borrower’s principal residence for at
least one year after the date of occupancy, unless
Lender otherwise agrees in writing, which consent
shall not be unreasonably withheld, or unless
extenuating circumstances exist which are beyond
Borrower’s control.
https://www.fanniemae.com/singlefamily/security-instruments
21
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Home Mortgage Disclosure Act
HMDA
When face to face with the borrower, and the
borrower refuses to provide answers, loan originator is
required to check the boxes on behalf of the applicant
based on visual observation and surname. If the
borrower and loan originator are not face-to-face such
as a loan application taken over the phone or over the
Internet, and the borrower refuses to answer the
questions, the loan originator IS NOT required to check
the boxes on behalf of the applicant.
22
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
23
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Frequently Asked Question:
What’s the difference between
Hispanic and Latino?
Latino is a term that is telling us about
geography
Hispanic is a term that is telling us about
language.
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Hispanic and Latino
Latino
From Latin America
Refers mostly to everything south of the United States
including the Caribbean.
Hispanic
From a country whose primary language is Spanish.
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Hispanic and Latino
But not every country in Latin America speaks
Spanish, and some countries that speak Spanish are
not located in Latin America.
Brazil
Latin but not Hispanic. Speaks Portuguese
Spain
Hispanic but not Latino. Speaks Spanish
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
HMDA Discussion Questions
Why do Federal regulators want to know if a consumer
is a member of one of the sub-categories?
Why aren’t white ethnic categories offered?
Example: Irish, German
What box is checked when your client is from the
Middle East?
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.3
Last two most recent paystubs
Last two years W-2s
Last three months bank statements
Most recent statement on 401Ks or IRAs
Documentation of ownership of stocks, bonds
Last two months statements from any investment account
Information on current mortgage or landlord contact info
Soc number or green card for all borrowers or co-signers
Letter of explanation for any known credit problems
Documentation supporting any other income
For self employed, borrowers paid on commission or in the field
of sales, and borrowers who own other real property:
Two years signed personal tax returns including all schedules
IRS Form 4506-C
28
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Qualifying the Applicant: The Four Cs
Character
(credit history)
Capacity
(stable, reliable, sufficient income)
Capital
(verification of funds for down payment)
Collateral
(how much is the home worth?)
29
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
30
Section 2 Module 2.4
FIRST RATIO
PITI
Principal, Interest, Taxes, Insurance
plus home owner’s assoc dues, if applicable
Divided by
Total gross monthly income
= %
SECOND RATIO
PITI plus all other monthly revolving debt
Divided by
Total gross monthly income
= %
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.5
 Loan Processing
 As documents are received, processors compare the
information verified to the original loan application
and consult the credit underwriting guidelines.
 A processor is a liaison between the originator, the
borrower, the Realtor, underwriting and
management.
31
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.6
Employment and Income Verification
Verification of Employment
The Work Number (Equifax)
Request for Verification of Employment (Fannie Mae
Form 1005)
Calculating gross pay
Tax returns
Miscellaneous income
32
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.7
Gaps in Employment. Case Study:
Morgan and Elizabeth are applying to refinance their
home. Morgan has a 4-year gap in employment history.
Prior to the time off, Morgan was working in the
financial sector and has recently re-entered the
financial sector, at a similar salary. Both incomes are
needed to qualify.
What will the underwriter ask for?
33
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.7
For borrowers with gaps in employment of six months
or more, the underwriter may consider the
borrower’s current income as effective income if it
can verify:
1) The borrower has been employed in the current
job for at least six months at the time of FHA case
number assignment, AND
2) verification of a two year work history prior to the
absence from employment.
34
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.8
Assets
Acceptable assets for down payment
Assets for reserves
Ineligible assets
Verification of Deposit (VOD)
Gift Letters
35
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.9
 Underwriting
 Sufficient and stable monthly income
 Prior credit history
 Assess collateral
 Sufficient down payment
Other factors: Payment shock, debt-to-income
ratios, cash on hand after closing, other
compensating factors
36
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.10
Case Study: David and Ryan
Read the case study. Break into small groups and
discuss: Is this an approvable loan?
If yes, why?
If no, why not?
Justify your decision.
Large group recap
37
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.11
Ability to Repay Rule under Dodd Frank Act
Eight factors:
~
1. Current income and assets
2. Current employment
3. Monthly mortgage payment
4. Monthly payment on simultaneous loans
5. Property taxes, fire/flood insurance, HOA dues
6. Debts including alimony or child support
7. Monthly total DTI ratio
8. Credit history
Underwriters CAN consider other factors
38
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 3 Credit Module 3.1
What is a credit report?
What are credit reporting agencies?
What information is contained in a credit report?
Have you ever ordered a credit report on yourself?
AnnualCreditReport.com
39
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 3 Module 3.2
What’s in a FICO Score?
35% payment history
30% amount owed
15% length of credit history
10% new credit
10% types of credit used
40
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
History of land titles in the U.S.
Great movies to watch and their historical time frame
Far and Away (1890s-1893)
There Will Be Blood (1898-1911)
Little House on the Prairie (1871-)
First Cow (2020)
Nomadland (2020)
202106010001 Warranty Deed
202106010002 Deed of Trust
We needed a system of recording the sale of property.
Late 1700s onward
41
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
42
Section 4 Title Insurance Module 4.1
What does it mean when we say we hold title
to something?
Is there a document called “title” that we
get when we buy a home?
Can we do anything we want with and to our
home and land?
How deep into the ground and how high up
do our property rights extend?
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Can we do anything we want with our property?
Can I build anything I want?
Can I build a house that would take up the entire lot?
Can I paint my house any color I want?
If I dig a hole, how far down do I own?
How far up do I own?
43
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
There are limits to what we can do:
Federal law, state law, county laws, city laws
Zoning, set-backs from the boundary line
Local covenants, conditions and restrictions (CCRs)
Mineral rights
Easements
Height restritions
44
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
45
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
46
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
47
----------------Road-----------------------
Easement to replace the water main is located six feet underground throughout the entire plat
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
48
Section 4 Title Insurance Module 4.2
For a one time fee, a title insurance company
will check the public records system and
disclose all matters that affect the title of
real property.
They will insure against loss and defend you
should somebody lay claim to your title.
Pay once, it’s good for as long as you or your
heirs own the property.
Starts the day of closing and looks backward
in time.
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
49
Section 4 Title Insurance Module 4.3
How does a title company protect residential
homeowners and residential lenders?
Owner’s policy: Paid for by the seller, protects
the brand new home buyer. Policy is good as
long as home owner/heirs own the property.
Lender’s policy: paid for by the home buyer,
protects the LENDER in case of default. Lender
wants insurance that they will be in first lien
position if they ever have to foreclose on the
property. New lender’s policy each time the
homeowner refinances.
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Physical Rights of Real Estate
50
Center of
the Earth
Surface
rights
Fly-over
rights
Mineral,
water, oil,
and gas
rights
Air
rights
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 4 Module 4.4
Title insurance troubleshooting
Who is in title to sell the home?
Who is in title when refinancing?
Undisclosed liens against seller or homeowner (refi)
Mortgage paid off but reconveyance not recorded
First mortgage being refinanced, but second mortgage
needs to stay in second position (re-subordinate)
Easements
Encroachments
51
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
52
Section 4 Module 4.5 Case Study
Small group assignment:
Read the case study “John and Sara”
Come up with 10 things a loan originator
must discuss/discover before moving
forward with this transaction.
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
53
Section 4 Module 4.5
Legal rights and responsibilities of a title
company.
A title company has two duties:
Duty of defense
Duty of indemnification
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
What is escrow?
 To hold something until something happens
 Neutral third party
 Only accepts instructions in writing
 Limited Practice Officer (LPO)
54
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
55
Section 5 Module 5.1-5.7
What is escrow?
What is the Closing Disclosure?
What is the difference between an escrow agent
and an escrow officer?
What does an escrow closer do?
What are the Escrow Instructions?
What are the duties of an escrow agent
Borrower’s signatures and requirements
Issues that could delay closing
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
56
Section 6 Appraisals Module 6.1-6.7
What is an appraisal?
What are the three types of approaches to
reconciling the appraised value?
How does an appraiser make adjustments?
Borrower’s right to receive a copy of the
appraisal
Appraisal requirements for Higher Priced
Mortgage Loans
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Three approaches to an appraised value
Cost
If this home were to burn down, how much would it
cost to rebuild it?
Market data
What are similar homes selling for right now?
Income
How much would this home rent for, right now?
57
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
58
Section 7 Insurance Module 7.1-7.4
General fire/hazard property insurance
coverage
Flood insurance
Private Mortgage Insurance
(conventional loans only)
Private Mortgage Insurance Act of 1998
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 8
Financial Calculations Used in
Mortgage Lending
1. Calculate the periodic interest rate for an annual
mortgage rate of 5.0%
0.05 divided by 12 = 0.0042 or 0.42%
59
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Per diem interest
2. Interest Per Diem (per day)
a. Principal x rate divided by 365
3. Calculate per diem interest with a loan amount of
$300,000 and a note rate of 5.0%
$41.09
60
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Deb-to-income ratios
4. Monthly gross income is 8,333.33 Total housing
expense is 2,000. (PITI). Total long term installment
debt is $649 per month. What are the first and
second ratios?
2000 divided by 8333.33 = 24%
2000 + 649 = 2649
2649 divided by 8333.33 = 32%
61
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Debt-to-income ratios
5. Monthly gross income is $18,750. Total housing
expense is $4295. (PITI). Total long term
installment debt is $3937 per month. What are
the first and second ratios?
4295 divided by 18,750 = 23%
4295 + 3937 = 8,232
8232 divided by 18,750 = 44%
62
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
6. Upfront mortgage insurance premiums
An FHA fixed rate loan with a 30 year term requires a
1.75% up front premium and an annual premium of
.85%. The base loan amount is $200,000.
upfront: 200,000 x 1.75 = 3,500.
annual: 200,000 x .85 = 1,700
monthly: 1700 div by 12 = 141.67
63
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
7. Total interest paid over loan term
Your client is borrowing $189,000 on a 30 year fixed
rate loan. His monthly P&I payments will be $1,241.73
He wants to know the total amount of interest that
will be paid over the life of the loan. Your answer is:
1241.73 (principal and interest)
x 360 (multiplied by the loan term. Hint: 30 x 12)
= 447,022.80 (P&I paid over 30 years)
– 189,000.00 (subtract the loan amount)
= 258,022.80 (and what’s left is the interest)
64
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
8. Calculating Loan Amount
A homebuyer makes an offer on a home and wants to
make a 20% down payment so she can avoid private
mortgage insurance. What would the loan amount be
in this transaction if the sales price is $400,000 and
the appraised value is $395,000?
Whichever is less x 80%
395,000 x 80% = $316,000
“an 80% LTV loan.”
65
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
9. Loan amount when financing MIP
A refinancing homeowner is selecting an FHA loan with
an upfront MIP that she would like to finance into the
loan amount. What is the final loan amount?
Base loan amount: 350,000
Upfront MIP: 1.75%
350,000 x 1.75% = 6,125.00
Final loan amount when financing the MIP =
Base loan amount + MIP = Final loan amount
350,000 + 6125.00 = 356,125.00
66
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
10. Escrow (bank) account in loan servicing
Borrower’s monthly mortgage payment breakdown looks
like this:
Principal = 1106.15
Interest = 606.15
Escrow account to pay real estate taxes and hazard
insurance = 203.19
What is the principal and interest payment (P&I) only?
1106.15 + 606.15 = $1712.30
What is the full monthly payment including taxes and
insurance (PITI)?
1106.15 + 606.15 + 203.19 =$1915.49
67
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
11. Borrowers always prioritize making their car payment
first each month and then their second mortgage and
finally their first mortgage. How will a first mortgage
lender view this practice?
a) Order of payments makes no difference to an underwriter.
b) Order of payments makes no difference to an underwriter
provided the loans are always paid on time.
c) Underwriters are looking for patterns in credit behavior.
Making the first mortgage payment third priority is a valid
reason for declining the loan if there is a consistent
pattern of late payments.
d) Underwriters are looking for patters in credit behavior.
Making the first mortgage payment third priority is not a
valid reason to decline the loan.
68
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
12.New Construction
Sale price of the lot is $100,000
Cost to build the home is $200,000
Closing costs estimated: $9,000
What is the estimated completed value of the home
plus land?
100,000 + 200,000 =$300,000.
What is the estimated down payment if this borrower
would like to put 20% down?
300,000 x 20% = $60,000.
What is the estimated cash needed to close the loan?
60,000 + 9,000 = $69,000
69
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
13. Purchase money loan
See course book for loan details.
265,000 – 13,250 = 251,750 loan amount
Next add together sales price and closing costs
265,000 + 4,000 = 269,000
Now take the above 269,000 and subtract out the loan
amount 269,000 – 251,750 = 17,250
Homebuyer has paid $800 up front for an appraisal and
put down $5,000 earnest money. We need to credit
this to the borrower. 800 + 5000 = 5800
Now subtract out the credits and we have the cash
needed to close the loan. 17,250 – 5800 = 11,450
70
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
14. Calculate the down payment for the following sale:
Purchase price is $500,000
Calculate a 20% down payment:
500,000 x 20% = $100,000.
Uh oh, appraisal comes in at $490,000
Now calculate the 20% down payment:
490,000 x 20% = $98,000.
Note: Cash needed to close the loan will be higher,
but that’s not what the question is asking.
71
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
15. Calculating Loan-To-Value
What is the loan to value ratio for a loan amount of
$405,000 where the sales price and appraised value
of the property are both $450,000?
405,000 div by 450,000 =
90%
72
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
16. Calculating Loan-To-Value
Borrower would like to avoid paying
mortgage insurance on a conventional loan
and has plenty of money for a down
payment. Sales price is $375,000 and the
appraised value is $365,000. What is the
loan amount in order to provide this
borrower with an 80% loan-to-value
mortgage?
$365,000 x 80% = $292,000.
73
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Discount Points
Note Rate: 4.00 % = 1% Lender Credit. This can be used
to pay costs on a refi or purchase
Note Rate: 3.50 % = Par
Note Rate: 3.00 % = 1% Discount points paid by borrower
_______________________________________________
Example: 200,000 loan amount
Note Rate: 4.00 % = 1% Lender Credit of $2,000
Note Rate: 3.50 % = 0 No cost to the borrower and no
credit given to the borrower
Note Rate: 3.00 % = 1% Discount Points will cost the
borrower $2,000
74
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
75
Rate Points Consumer’s
Situation
Consumer Might
Decide to:
What This Means to
the Consumer
4.00% 1.0%
Lender
Credit
Consumer does not want
to pay a lot of cash up
front and can afford a
slightly higher monthly
payment.
Pay a slightly higher
payment each month. Pay
a higher interest rate over
the life of the loan and not
have to come up with any
money up front to cover
closing costs.
Consumer chooses a
higher rate of 4.00%, in
exchange for $2,000. To
cover closing costs.
Today: Consumer receives
$2,000.
Over the life of the loan:
Consumer pays slightly
more each month.
3.5% 0 Par Consumer is satisfied with
the rate and chooses not
to pay discount points to
buy a lower rate OR
choose a higher rate to
cover closing costs with a
lender credit.
Pay zero points The par rate does not
require consumer to pay
points.
The par rate does not
provide a lender credit.
3.00% 1.0%
Discount
Points
Consumer plans to keep
the mortgage for a long
time. Consumer can
afford to pay more cash
at closing.
Consumer wants a slightly
lower payment
Pay discount points and
select a lower rate. This
will save the consumer
money over the life of the
loan.
Consumer might agree to
pay $2,000. more in
closing costs in exchange
for a lower rate of
3.005%.
Now: Pay $2,000.
Over the life of the loan:
Pay slightly less each
month
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
17. Discount points
The purpose of discount points is:
a) To allow lenders to charge a higher rate due to a
low credit score.
b) To allow the consumer to pay some of the
interest up front by purchasing a lower rate, in
order to pay less interest over the life of the
loan.
c) To allow the borrower to obtain a credit from the
lender to cover closing costs, and reducing the
amount of up front money to close the loan.
d) To allow the loan originator to earn additional fee
income.
76
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
18. Using the Lender Credit
Consumer chooses a slightly higher rate of 5.125% in
order to obtain a credit from the lender. LOs may use
the lender credit to:
A.Cover the closing costs with the lender credit
B.Cover the closing costs with the lender credit and LO
may also keep what’s left over as a bonus.
C.Cover the closing costs with the lender credit and
distribute what’s left over to the Realtor
D.Cover the closing costs with the lender credit and
may give what’s left over to the consumer in the form
of $14.00 gift cards to cover the monthly payment for
a while
77
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Prepaids
19. Calculate the following pre-paid items to be
collected from the borrower at closing:
a) Homeowner’s insurance premium: $125/month for 6
months
125 x 6 = $750.
b) Mortgage insurance premium: $48/month for 3
months
48 x 3 = $144
c) Prepaid, daily interest $20.38/day for 15 days
20.38 x 15 = $305.70
d) Real estate taxes $145.33 per month for 4 months
145.33 x 4 = $581.32
78
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Closing Costs
20. A buyer is purchasing a home with a 95%
conventional fixed rate mortgage of $104,500. The
maximum dollar amount the seller may contribute to
the buyer in this case is 3% of the sales price.
Hint: First compute the sales price then multiply by 5%
Loan Amount 104,500 divided by .95 =
The sales price: 110,000
Seller contribution: 110 x 3 percent = 3,300
79
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Loan origination charges
21. A homeowner is refinancing and would like to pay
no more than 1 percentage point in loan origination
charges. Loan amount is 375,000. Your company
charges the following loan origination fees:
Loan Origination fee .50
Underwriting fee .25
Processing fee .25
Will you be able to serve this customer?
.50 x 375,000 = 1,875.00
.25 x 375,000 = 937.50
.25 x 375,000 = 937.50
Total $3750
80
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
22. Seller buy-downs
A homebuyer would like to have the seller buy down the
interest rate by contributing 2 percent of the sales price to
purchase discount points in order to lower the note rate on
the loan by 1 percent.
Sales price: $325,000
Loan amount: $292,500
Note rate at par is 4.75%
Borrower will have how much money contributed by the
seller? 325,000 x 2% = $6,500.
Purchasing 1 discount point to obtain a lower rate will cost:
292,500 x 1% = $2925.
How much will the borrower have
left over to cover other costs? 6500 – 2925 = $3575.
81
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
23. Adjustable Rate Mortgages
5/1/1 Treasury Securities Indexed ARM loan has a
starting rate of 2.0%. At the first adjustment, the
index is 3.0% and the margin is 2.25%. What is the
fully indexed rate?
3.0 + 2.25 = 5.25%
The Index is an economic indicator used to calculate
interest rate adjustments for ARM loans. The index
rate can increase or decrease at any time.
The Margin remains stable over the life of the loan
82
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 9: Qualified Mortgages
How to understand the role of Federal Law and The
Secondary Market in the practice of mortgage lending.
Federal Law is our foundation and everything is built
on top of that.
83
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Your mortgage company’s product “overlays”
Example: Credit score can be no lower than 620
Conventional Loan Products | Government Loan Products
Example: 30 year fixed rate loan
Conventional Loan Programs | Government Loan Programs
Mortgage-backed securities GNMA (Ginnie Mae Bonds)
Example: Owner Occupied Single Family Purchase or Refi
Fannie Mae and Freddie Mac | FHA/VA/USDA
The Secondary Market provides guidelines
on loans eligible for purchase
State Law
Federal Law
84
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 10
The Secondary Market: Conventional Loans
Fannie Mae and Freddie Mac purchase mortgages
from banks and lenders.
F and F turn a bundle of mortgages into
“mortgage-backed securities”
F and F guarantee principal and interest to the investor,
if the borrower does not make their payment
85
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 9 Module 9.2
Financial crisis of 2008 led to:
Fannie Mae and Freddie Mac being taken into
government conservatorship.
FHA eventually went insolvent as well, after absorbing
the collapse of subprime loans in 2008.
All three entities received a direct draw from the U.S.
Treasury.
As such, consumers asked for and received massive
regulatory reform: The Dodd Frank Act of 2010
86
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 9 Module 9.3
Ability to Repay Rule under Dodd Frank Act of 2010
Eight factors:
~
1. Current income and assets
2. Current employment
3. Monthly mortgage payment
4. Monthly payment on simultaneous loans
5. Property taxes, fire/flood insurance, HOA dues
6. Debts including alimony or child support
7. Monthly total DTI ratio
8. Credit history
Underwriters CAN consider other factors
87
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 9
Qualified Mortgages and The Dodd Frank Act
Regular periodic payments that are substantially equal
~
Loan term does not exceed 30 years
~
Total points and fees do not exceed 3% for loans over $100K
~
Total debt to income back-end ratio does not exceed 43%*
~
*If loan conforms to guidelines set forth by Fannie & Freddie
(aka Conventional loans,) FHA, VA, USDA then loan is
automatically a QM UNTIL Oct 1, of 2022
~
Ability to Repay: 5 Years
88
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Qualified Mortgage Rules for 2021
89
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
The Secondary Market: Gov Loans
Banks and lenders bundle government loans into a
pool of mortgage backed securities, called Ginnie
Mae Bonds.
GNMA = Government National Mortgage Association,
nicknamed Ginnie Mae
Ginnie Mae guarantees principal and interest to
the investor, if the borrower does not make their
payment
90
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 10 The Secondary Market
The secondary market consists of different entities that
purchase residential mortgage loans from banks and non-
bank lenders. Once the loan is purchased, the money
returns to the banks and non-bank lenders so they may
re-lend the money over and over again. This helps
guarantee an ongoing flow of mortgage money available
to banks and non-bank lenders and ultimately consumers.
Not all banks and non-bank lenders sell their loans on the
secondary market. Some companies hold the loans in
their own portfolio. However, the majority of loans you
will be originating will be sold on the secondary market.
91
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 10 Fannie Mae and Freddie Mac
Responsibilities
Conventional loan programs
Limits on closing cost concessions
Loan Level Pricing Adjustments
AUS
N.O.O. rental 20%
Acceptable down payment amounts
Hazard/fire insurance requirements
Pre-payment requirements
92
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 11 Government Loan Programs
Types of government guarantors
FHA
FHA Loan Limits
FHA Eligible Property
FHA’s required Mortgage Insurance Premium (MIP)
FHA monthly MIP scenarios
Practice: Calculate the Monthly MIP
Required Documentation
93
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 11, Module 11.7
Calculate MIP
Calculate the MONTHLY Mortgage Insurance
Premium for the following loan:
Loan Amount 450,000
30 year fixed
Loan to Value is greater than 95%
450,000. x .85 = $3,825.00 annually. Divided by 12 =
$318.75 per month
94
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 11 Mod 11.9 VA Loans
VA loan facts
VA loan limits
VA funding fee
Eligible property for a VA loan
Certificate of Eligibility (COE)
Entitlement
Acceptable funds for down payment and closing costs
Residual income
95
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 11 Mod 11.18 USDA loans
What is a USDA loan?
Minimum down payment
96
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 12 Most Common, Conforming
Loan PRODUCTS
Fixed Rate Mortgages (FRM)
Characteristics of a FRM
Situations that effect a FRM payment
Comparison of types of loan scenarios
Percentage of down payment to lessen
monthly payment
FRM’s with escrow
97
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 12 Most Common, Conforming
Loan PRODUCTS
Adjustable Rate Mortgages (ARMs)
Facts on ARM loans
Examples of ARM loans
Hybrid ARMs
Timeline for notifying customer of rate change
98
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 13 Non Traditional Mortgage Loans
Definition:
According to the SAFE Mortgage Licensing Act of
2008, the term “nontraditional mortgage product”
means any mortgage product other than a 30-year
fixed rate loan.
99
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 13: Statement on Subprime
Generally subprime borrowers will display a range of credit
risk characteristics that may include one or more of the
following:
1. Two or more 30-day delinquencies in the last 12 months,
or one or more 60-day delinquencies in the last 24 months
2. Judgment, foreclosure, repossession, or charge-off in the
prior 24 months
3. Bankruptcy in the last 5 years
4. Relatively high default probability as evidenced by, for
example, a credit bureau risk score (FICO) of 660 or below
5. Debt service-to-income ratio of 50% or greater
100
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 13 Mod 13.3
CSBS/AARMR Guidance on Non-Traditional
Lending
CSBS = Conference of State Bank Supervisors
AARMR = American Association of Residential Mortgage
Regulators
Oct 2006 those^ banking regulators published guidelines
on non-traditional lending.
101
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 13 CSBS/AARMR Guidance
 Ability to repay
 Watch for payment shock
 Assure borrower understands the loan terms
 Avoid misleading claims…payment, rates, refi-out
 Risk management strategies
102
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 14 DFA: HPMLs
The Dodd Frank Act (full name: Dodd Frank Wall Street
Reform Act) was passed in 2010 and brought the
guidelines we just reviewed, into federal law.
Instead of subprime loans, we use new language to
describe subprime without saying that word:
Non-prime, Non-traditional, non-conforming, and now:
Higher Priced Mortgage Loans (HPMLs)
103
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CE Forward, Inc. DBA NAMF
Qualified Mortgages
~
Regular periodic payments that are substantially
equal
~
Loan term does not exceed 30 years
~
Total points and fees do not exceed 3% for loans
over $100,000
~
Total debt to income ratio does not exceed 43%
~
If loan conforms to guidelines set forth by Fannie
& Freddie (aka Conventional,) FHA, VA, USDA Loan
is automatically a QM Until 2021.
~
Ability to Repay: 5 Years
104
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Qualified Mortgages
~
Regular periodic payments that
are substantially equal
~
Loan term does not exceed 30
years
~
Total points and fees do not
exceed 3% for loans over $100,000
~
Total debt to income ratio does
not exceed 43%
~
If loan conforms to guidelines set
forth by Fannie & Freddie (aka
Conventional,) FHA, VA, USDA
Loan is automatically a QM Until
Oct of 2022
~
Ability to Repay: 5 Years
105
Higher Priced Mortgage
Loans (HPMLs)
Loans formerly known as Subprime
Non-Traditional = Any loan that’s not
a 30 year fixed rate mortgage
Non-prime
Non-QM
A loan is an HPML When:
Annual Percentage Rate (APR) is:
1.5 or more points higher on a fixed
rate mortgage
OR
2.5 or more points higher on a non-
conforming mortgage (jumbo)
OR
3.5 or more points higher for a
subordinate lien
When compared with the Average
Prime Offering Rate (APOR)
Ability to Repay: 7 years
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Average Prime Offering Rate (APOR)
sample test question
What are the trigger thresholds under the Dodd Frank
Act for Higher Priced Mortgage Loans?
1) The law superseded by the new subprime loans
is a ridiculous law with a funny name
2) 1.5 percentage points above the average
prime offering rate (APOR)
3) 2.5 percentage points above the average prime
offering rate (APOR)
4) There are no trigger thresholds.
106
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
107
Section 15
Higher Priced Mortgage Loan Products
Conforming Jumbo Loans
Non-conforming Jumbo Loans
Interest-only Mortgages
Balloon Payment Mortgages
Construction Loans
Hard Money
Private Money
Option ARMs
Reverse Mortgages (HECM)
Suitability
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 15
Module 15.9
Suitability
Break into small groups and come up with at least 2
loan program suggestions for the borrower scenarios in
the course book.
108
20 Hour SAFE Comprehensive
Pre-Licensing and Exam Prep
Jillayne Schlicke
DAY 2
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Agenda
Washington State Law
Uniform State Law
SAFE Act Quiz
Case Study
Ethics
Consumer Protection
Fair Housing
Fraud
Anti-Money Laundering and Suspicious Activity Reports (SARS)
110
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
111
People on the left side
of the bell curve will
never understand
anything we give
them. They don’t
know how to balance
their checkbook.
Simple interest?
Compound Interest?
Everything we do is
WAY over their head.
People on the right
side of the bell curve
know more than we
know about the
mortgage machine,
rates, fees, your
compensation, when
is the right time to
buy or sell, etc.
Laws and rules are written for people
whose understanding of mortgage lending
is in the MIDDLE of the bell curve.
Once you are licensed, you will know MORE
than the average random person in the
middle of the bell curve.
We are not allowed to use our advanced
knowledge of the mortgage machine to
de-fraud people
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
112
Rate Points Consumer’s
Situation
Consumer Might
Decide to:
What This Means to
the Consumer
4.00% 1.0%
Lender
Credit
Consumer does not want
to pay a lot of cash up
front and can afford a
slightly higher monthly
payment.
Pay a slightly higher
payment each month. Pay
a higher interest rate over
the life of the loan and not
have to come up with any
money up front to cover
closing costs.
Consumer chooses a
higher rate of 4.00%, in
exchange for $2,000. To
cover closing costs.
Today: Consumer receives
$2,000.
Over the life of the loan:
Consumer pays slightly
more each month.
3.5% 0 Par Consumer is satisfied with
the rate and chooses not
to pay discount points to
buy a lower rate OR
choose a higher rate to
cover closing costs with a
lender credit.
Pay zero points The par rate does not
require consumer to pay
points.
The par rate does not
provide a lender credit.
3.00% 1.0%
Discount
Points
Consumer plans to keep
the mortgage for a long
time. Consumer can
afford to pay more cash
at closing.
Consumer wants a slightly
lower payment
Pay discount points and
select a lower rate. This
will save the consumer
money over the life of the
loan.
Consumer might agree to
pay $2,000. more in
closing costs in exchange
for a lower rate of
3.005%.
Now: Pay $2,000.
Over the life of the loan:
Pay slightly less each
month
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
113
Section 16
SAFE Mortgage Licensing Act
The SAFE Act of 2008
SAFE = Secure and Fair Enforcement Act
Passed in order to increase uniformity, reduce
regulatory burden, enhance consumer protection, and
reduce fraud. Establishes the Nationwide Mortgage
Licensing System and Registry.
Title V SAFE Mortgage Licensing Act of 2008
http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20
Document%20Library/SAFE-Act.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 16 SAFE ACT
1. Provides uniform license applications and reporting requirements for
State-licensed loan originators.
2. Provides a comprehensive licensing and supervisory database.
3. Aggregates and improves the flow of information to and between
regulators.
4. Provides increased accountability and tracking of loan originators.
5. Streamlines the licensing process and reduces the regulatory burden.
6. Enhances consumer protections and supports anti-fraud measures.
7. Provides consumers with easily accessible information, offered at no
charge, utilizing electronic media, including the Internet, regarding
the employment history of, and publicly adjudicated disciplinary and
enforcement actions against, loan originators.
8. Establishes a means by which residential mortgage loan originators
would, to the greatest extent possible, be required to act in the
best interests of the consumer.
114
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 16 SAFE ACT
State Examination Authority. The State may:
1. Review, investigate and examine any loan
originator, as often as necessary
2. Examine books and records
3. Retain authority
4. No person may destroy records
The State has broad enforcement authority
115
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 16 SAFE Act
State Exam Authority
Definitions
Licensing or registration
Supervised processors and underwriters
Independent contractors
116
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
117
Section 16 SAFE Act
“Registered Loan Originator”
An employee of:
a depository institution;
a subsidiary that is:
owned and controlled by a depository
institution AND
regulated by a federal banking agency OR
An institution regulated by the Farm Credit Admin
Title V SAFE Mortgage Licensing Act of 2008
http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20
Document%20Library/SAFE-Act.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
118
Section 16 SAFE Act
State or Federally Chartered Depository
Banks:
Bank LOs are exempt from testing and education.
Bank LOs are NOT exempt from “registering.”
Register with the Nationwide Mortgage Licensing
System (NMLS) and will be given a unique identifier.
“Registered” LOs
Title V SAFE Mortgage Licensing Act of 2008
http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20
Document%20Library/SAFE-Act.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
119
Section 16 SAFE Act
Issuance of a License
Never revoked
No felony last 7 years
No felony at any time re fraud, dishonesty, breach of
trust, money laundering
Financial responsibility
Pre-licensing education
Written test
Net worth or surety bond
Title V SAFE Mortgage Licensing Act of 2008
http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20
Document%20Library/SAFE-Act.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
120
Section 16 SAFE Act
LO exam:
75% to pass
Can retake 3 X at 30 day intervals
If fail 3 X, must wait 6 months
5 year lapse in license: must retake the test
Title V SAFE Mortgage Licensing Act of 2008
http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20
Document%20Library/SAFE-Act.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
121
Section 16 SAFE Act
Continuing Ed
3 hours Federal Law
2 hours Ethics, Consumer Protection, Fraud, Fair
Housing
2 hours Non Traditional Lending
1 hour Undefined
No carry-overs
Can’t take the same class each year.
Title V SAFE Mortgage Licensing Act of 2008
http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20
Document%20Library/SAFE-Act.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
122
Section 16 Model State Law
Module 16.6 Definitions
Module 16.7 Exemptions
Module 16.8 Issuance of License
Module 16.9 Pre-Licensing of LOs
Module 16.10 Licensing Renewals
Module 16.11 Enforcement Authority
Module 16.12 Investigations & Exam
Module 16.13 Prohibited Practices
Module 16.14 Unique Identifier
Module 16.15 Initial Registration
Module 16.16 Records Retention
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 16 SAFE Act/Uniform State
Content
Take the SAFE Act/Model State Law Quiz
123
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 17 Ethics
1) What is ethics?
2) Who do you admire, living or dead? Why do you
admire that person?
3) Have you ever faced an ethical dilemma in
business? How did you solve it?
124
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
125
Aristotle Kant J.S. Mill
Respect
honesty
(promotes
autonomy)
Loyalty
Responsibility
Integrity
Beneficence
Non-maleficence
Compassion
Justice
384 BC-322 BC
Duty-based
ethics
If we have a
duty to do
something,
we ought do
it.
What I want for
myself, I must
also want for
the other.
1724-1804
Utilitarianism
Maximize good
consequences for
the most number
of people and also
minimize bad
consequences
for the most
number of people
1806-1873
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 17 Ethics
Ethics
When there’s no clear statement in the law telling
us what to do.
“Ought, should.”
Law
Minimum moral standard
“Have to”
126
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 17 Ethics
Different sources of moral authority
Religion
We can’t use religion to solve ethical dilemmas
when holding a professional role because there are
thousands of different religions in the world.
Which one would we use?
Intuition
Intuition can sometimes steer us in the wrong
direction
Emotion
“If I can’t sleep at night it’s not ethical.”
If the only reason we’re choosing to do/not do
something is out of fear, that’s a pretty low
standard of motivation 127
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
128
Section 17 Ethics
Moral Development
The intrinsic worth, value and dignity
of all human persons.
Some laws might not be moral
Law , society’s rules
The good, norms, roles, shared values
Practical agreements
Morality comes from external sources
22+
16 to 22
12 to 16
6 to 12
3 to 5
0 to 2
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
What is ethics? Who do you admire?
Compassion
Empathy
Beneficence
To to good
Non-maleficence
to avoid harm
129
Honesty
Respect for persons
Integrity
consistent commitment
to a set of values
Trust…loyalty
Responsibility
Responsive to a set of job
duties
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 17 Ethics
Different sources of moral authority
Written codes of ethics
There is no source of moral authority over
LOs other than the law. What written codes
of ethics that do exist are voluntary and not
mandatory. The written codes of ethics that
exist are weak, vague, have no sanctions for
violations and in most cases, just simply re-
state federal law.
Philosophical ethics
Moral philosophical ethical theories can take
the place of a mandatory code of ethics
until one is written.
130
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
131
Aristotle Kant J.S. Mill
Respect
honesty
(promotes
autonomy)
Loyalty
Responsibility
Integrity
Beneficence
Non-maleficence
Compassion
Justice
384 BC-322 BC
Duty-based
ethics
If we have a
duty to do
something,
we ought do
it.
What I want for
myself, I must
also want for
the other.
1724-1804
Utilitarianism
Maximize good
consequences for
the most number
of people and also
minimize bad
consequences
for the most
number of people
1806-1873
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
132
Are Loan Originators “Professionals?”
Specialized knowledge
Formal, pre-licensing education
Mandatory continuing education
Test
Licensing
Fiduciary Duties (Reminder: The SAFE Act contains a requirement
to act in the best interests of the consumer.)
Code of ethics with sanctions for violations
^This is not yet in place, so LOs are classified as “an emerging
profession.”
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
133
Fiduciary Duties Come from Agency Law
Agency:
Consent by one person (principal) that the
other (agent) act on his or her behalf.
Agency can be created by oral or written
agreement OR it may be implied through
conduct.
“I can get you the best loan”
“I can get you the best rate”
Section 17 Ethics
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
134
Duty of Loyalty
Duty of Care
What Fiduciary does will,
in good faith, advance the
interests of the client and
not the Fiduciary’s
personal interests
Act in good faith
Reasonable person test
Informed
Section 17 Ethics
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
135
Manipulation
Coercion
Completely
Controlled
Influences
Completely
Non-Controlled
Influences
Persuasion
Substantially
Not Controlling
Substantially
Controlling
Section 17 Ethics
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
136
Section 17 Ethics
Fiduciary Duties May Include…
1. Disclose all loan information to
the borrower
2. Act in good faith and deal fairly
3. Avoiding secret fees or
undisclosed fee splitting
4. No self dealing
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
137
Fiduciary Duties are Higher When…
LO has higher level of knowledge,
experience, skills
Client has limited knowledge
Client is relying exclusively on you
Greater the imbalance the higher the duty
Section 17 Ethics
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 17 Ethics: A Methodology
1. Define the problem
2. Collect facts
3. Reframe
4. Is this a legal issue?
5. Are you a manager?
6. Are you a partner?
7. Formal policies at
your company?
138
8. Professional Code of
Ethics?
9. Identify values
10. Consider all choices
11. Good reasons for and
against each choice
12. Decide
13. Act
14. Reflect
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
139
Are Loan Originators “Professionals?”
Specialized knowledge
Formal, pre-licensing education
Mandatory continuing education
Test
Licensing
Fiduciary Duties (Reminder: The SAFE Act contains a requirement
to act in the best interests of the consumer.)
Code of ethics with sanctions for violations
^This is not yet in place, so LOs are classified as “an emerging
profession.”
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Strategy for any question on the test
containing the word, “ETHICS”
Regulators do not regulate ethics, they regulate law.
It is the job of an industry to self-regulate the
ethical conduct of its members.
Our regulators see “ethics” through a legal lens:
consumer protection, fraud, fair housing
Ask yourself: What is in the best interest of my
client?
140
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Sample Ethics Question
 Q: An appraiser approaches you with a deal to give
you the values you need in exchange for referrals of
your next 10 appraisals.
a. This is unethical
b. This is allowed under certain circumstances
c. This is only allowed with a special agreement fee
worksheet approved by DFI
d. This conduct could be allowed but only if the
appraisal company was owned by the mortgage
company
141
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Sample Ethics Question
 A LO discovers that his/her co-worker is signing
client documents for the client. The LO asks
his/her co-worker about this practice, and the co-
worker answers, “my customer gave me permission
to sign her name on her behalf.”
a. This is unethical
b. It’s possible that this could be allowed
c. Federal law “signatures are cool” allows this
d. This practice is normal
142
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 18
Consumer Protection Case Study
Carnell v. KMC Funding
Read the case. Break into small groups and discuss the
case with members of your small group.
Elect a group leader and share your answers with the
rest of the class.
143
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
144
1968 Civil Rights Act
1968 Fair Housing Act
~
Protected Classes:
Race
Color
Religion (Creed)
Sex
LGBTQ added in 2021 by
executive order.
National Origin
Familial Status
Disability
Section 19
Fair Housing
Intent v. Effect
Realtors and lenders
have great power to
affect neighborhoods
Fair Housing/Fair Lending
http://www.hud.gov/offices/fheo/lending/index.cfm
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Intent v. Effect
It doesn’t matter what our good intentions are.
The only thing that matters is the effect, or the result
of our actions.
If we treat people differently based on nothing but
their protected class, we have violated Fair Housing.
Disparate Impact
145
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Additional protected classes in WA State
Sexual orientation
Gender identity
Honorably discharged military Veteran
The use of a service animal
Retaliation against a whistleblower
146
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 19
Redlining
Denying or
increasing the
cost of
services to
residents of a
racially
specific
geographical
area
Steering
Guiding
prospective
homebuyers to
or away from a
specific
neighborhood
based on his/her
race
147
Blockbusting
Encouraging
white property
owners to sell
their homes at a
loss by
fraudulently
implying that
racial or
religious
minorities were
moving into their
neighborhood
Fair Housing/Fair Lending
http://www.hud.gov/offices/fheo/lending/index.cfm
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 19 Module 19.4 Fair Lending
In Mortgage Lending: No one may take any of the
following actions based on race, color, national
origin, religion, sex, familial status or handicap
(disability):
Refuse to make a mortgage loan
Refuse to provide information regarding loans
Impose different terms or conditions on a loan, such as
different interest rates, points, or fees
Discriminate in appraising property
Refuse to purchase a loan or
Set different terms or conditions for purchasing a loan.
Fair Housing/Fair Lending http://www.hud.gov/offices/fheo/lending/index.cfm
148
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 19 Module 19.7
Fair Housing Thought Questions
Should we make a woman on maternity leave return
to work before counting her income when qualifying
for a loan?
Should we make long term disabled applicants
provide additional documentation proving that they
will stay disabled?
149
Fair Housing/Fair Lending http://www.hud.gov/offices/fheo/lending/index.cfm
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Sample Test Question:
Verification of Employment confirms employment of your
applicant and probability of employment is “excellent.”
In the comments box: “on maternity leave.”
1. Lender should close the loan.
2. Lender should not originate loans to new parents.
3. Lender should originate the loan only after asking
female applicant to provide additional
documentation and detailed motivational letter
regarding her intent to return to work.
4. Lender should follow some law you’ve never heard
of.
150
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 19 Module 19.7
Fair Housing Thought Questions
A mortgage company creates a policy that they
will not lend money on manufactured housing.
Could this create a Fair Housing violation?
151
Fair Housing/Fair Lending http://www.hud.gov/offices/fheo/lending/index.cfm
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 19 Module 19.8
Disparate Impact: Intent v. effect
Under Fair Housing, the lender’s good intentions
of lending on good quality collateral or our
intent to make sure that people have the ability
to repay do not matter. Instead, the effect of
our lending decisions is what matters.
If the effect of our lending decisions treats
people differently like higher rates, fees, more
documentation, or creates more segregated
neighborhoods, we have violated Fair Housing.
152
Fair Housing/Fair Lending http://www.hud.gov/offices/fheo/lending/index.cfm
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 19 Module 19.5: Redlining
Fair Lending Case Study:
U.S. and CFPB
v.
Bancorp South
153
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
154
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
155
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 20 Mortgage Fraud
Fraud for Housing, or fraud for property, is
perpetrated by borrowers and/or one or more
industry professionals when they misrepresent
information on the loan application. This type of
fraud does not usually result in significant losses to
a financial institution.
156
FBI
US Department of Justice
Financial Crimes Report to the Public 2010-2011
http://www.fbi.gov/stats-services/publications/financial-crimes-report-2010-2011
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 20 Mortgage Fraud
Fraud for profit consists of systematic transactions by
industry professionals who are attempting to steal a
significant amount of the funds associated with one or
more mortgage transactions. This type of fraud usually
involves multiple parties in various disciplines within the
mortgage industry, such as mortgage originators,
appraisers, real estate brokers, escrow closers, builders
and title companies. Fraud for profit usually results in
significant—if not catastrophic—losses to financial entities
involved in mortgage loan transactions and it is of major
concern to the mortgage industry
157
FBI
US Department of Justice
Financial Crimes Report to the Public 2010-2011
http://www.fbi.gov/stats-services/publications/financial-crimes-report-2010-2011
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 20 Module 20.2
General Red Flags of Mortgage Fraud
Red flags are inconsistencies in the information
presented in an application or a loan file that would
cause someone to take a second look or be
suspicious. Red flags are potential indicators that
should be explored; but they do not necessarily
mean that fraud occurred.
Lenders can help protect themselves if they can
identify red flags and learn to sense when something
“isn’t quite right.”
158
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 20 Module 20.3
Loan Application Red Flags
Occupancy
Borrower and co-borrower scenarios
Employment and income fraud
Information supplied by borrowers
Undisclosed income
Assets, bank activity, deposits
Liabilities
Credit
Down payment fraud: gifts, silent second
159
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 20 Mortgage Fraud
Appraisal Fraud
Fraud at settlement/escrow
Cyber crime
Red flags on the purchase and sales agreement
Change of info from the initial loan app
160
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 20 Mortgage Fraud
Module 20.10
Requirement to Report Mortgage Fraud
All employees who work for a depository bank,
non-bank lender, or mortgage broker are
required to promptly report possible mortgage
fraud to their supervisor.
161
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 20 Mortgage Fraud
Module 20.10
Mortgage Fraud is investigated by the Federal
Bureau of Investigation and is punishable by up
to 30 years in federal prison or $1,000,000 fine,
or both. It is illegal for a person to make any
false statement regarding income, assets, debt,
or matters of identification, or to willfully
overvalue any land or property, in a loan and
credit application for the purpose of influencing
in any way the action of a financial institution.
162
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 21
Bank Secrecy Act of 1970 Nixon
U.S. Patriot Act of 2001 W.
SARS: Suspicious Activity Reports
AML: Anti Money Laundering
163
Financial Crimes Enforcement Network
Anti-Money Laundering Program and Suspicious Activity Report Filing
Requirements for Residential Mortgage Lenders and Originators
AGENCY: Financial Crimes Enforcement Network (‘‘FinCEN’’), Treasury.
ACTION: Final rule.
Federal Register / Vol. 77, No. 30 / Tuesday, February 14, 2012 / Rules and
Regulations Page 8159
Subpart C—Reports Required To Be Made by Loan or Finance Companies
http://www.gpo.gov/fdsys/pkg/FR-2012-02-14/pdf/2012-3074.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 22 Practice Quiz
Take the practice quiz:
Ethics, Consumer Protection, Fraud, Fair Housing,
SARS/AML
164
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 22
Reflect on everything learned today and yesterday.
…any final questions?
Preview of tomorrow.
165
20 Hour SAFE Comprehensive
Pre-Licensing and Exam Prep
Jillayne Schlicke
DAY 3
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
CFPB =
Consumer Financial Protection Bureau
All federal laws governing mortgage lending
are now regulated by the CFPB with one
exception:
Fair Housing stays with HUD
Each state also regulates it’s own state laws
governing mortgage lending. State laws can
be tougher than federal law.
167
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 23 CFPB Core Functions
Rooting out unfair, deceptive, or abusive acts or
practices by writing rules, supervising
companies, and enforcing the law
Enforcing laws that outlaw discrimination in
consumer finance
Taking consumer complaints
Enhancing financial education
Researching the consumer experience of using
financial products
Monitoring financial markets for new risks to
consumers
168
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 23 CFPB Consumer Complaints
1. Complaint submitted
2. Review and route
3. Company responds
4. Complaint published
5. Consumer review
Consumer complaint database:
https://data.consumerfinance.gov/dataset/Consumer-
Complaints/s6ew-h6mp
169
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 23 HUD
Programs offered by HUD
Community Planning and Development
Federal Housing Administration (FHA)
Public and Indian Housing
Fair Housing
Policy Development
Government National Mortgage Association (Ginnie Mae)
Office of Housing Counseling
Lead Hazard Control and Healthy Homes
170
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 23 HUD
HUD oversees the following entities:
Banks, Lenders, Mortgage Brokers
Real Estate Brokers
Appraisers
Housing Counselors
Housing Inspectors
Landlords
Non-Profits
HUD Grant Recipients
171
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
The Main Fed Law Acronyms
TILA
Truth in Lending Act
MDIA
Mortgage Disclosure Improvement Act
RESPA
Real Estate Settlement
And Procedures Act
TRID
TILA/RESPA Integrated Disclosure
ECOA
Equal Credit Opportunity Act
SAFE
Secure and Fair Enforcement Act 172
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Patterns
What was going on in the late 1960s and 1970s in the
United States?
The Economy?
The American Family?
If you understand WHY a law was passed, you will be
able to isolate and rule out the two, dead-wrong
answers. Two answers will remain. One will be a little
bit better than the other.
173
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Federal
Laws
The laws shown in
blue were passed
during the late
1960s/early 1970s and
notice that we are
currently living
through another wave
of consumer
protection laws
directed at the
mortgage lending
industry.
Truth in Lending Act
2009 Changes to TILA = MDIA
2011 FRB Rule on LO Comp
R.E. Settlement and Proc. Act
2010 Dodd Frank Act
2015 TRID
Equal Credit Opportunity Act
Fair Credit Reporting Act
Fair Housing
Other Fed Laws
2008 SAFE Act
2010 Dodd Frank Act
2015 TILA/RESPA Integrated Discl.
174
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
175
To promote informed use of credit.
Requires disclosure of Annual Percentage Rate (APR)
Gives consumers the right to cancel some transactions
(owner occupied refi)
Imposes cost limits on home equity loans
Regulates variable rate loans
CHARM Booklet required on ARM loans
continued
Section 24 Module 24.2 TILA Core Concepts
Truth in Lending Act
http://www.fdic.gov/regulations/laws/rules/6500-200.html
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
176
Delineates and prohibits unfair and deceptive mortgage
lending practices
At the beginning of the transaction:
Consumers receive disclosures 3 days from date on
the loan application.
At the end of the transaction:
Consumers receive their final disclosures 3 days prior
to consummation (signing.)
Section 24 Module 24.2 TILA Core Concepts
continued
Truth in Lending Act
http://www.fdic.gov/regulations/laws/rules/6500-200.html
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 24 Module 24.3 TILA
Loans Covered by TILA and Regulation Z
1. Purpose of credit is for personal, family, or
household use, and;
2. Credit is extended to a consumer, and;
3. Credit is extended by a creditor (a lender,) and;
4. Credit or loan is secured by real property
(dwelling.)
177
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 24 Module 24.3 Definitions
Business Day
Business day means a day on which the creditor's
offices are open to the public for carrying on
substantially all of its business functions.
Generally, all calendar days except Sundays and the
legal public holidays specified in 5 U.S.C. 6103(a),
such as New Year's Day, the Birthday of Martin
Luther King, Jr., Washington's Birthday, Memorial
Day, Independence Day, Labor Day, Columbus Day,
Veterans Day, Thanksgiving Day, and Christmas
178
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
TILA requires us to quote APR when
quoting a note rate
A. Actually available terms
B. Clear and conspicuous standard
C. Finance charge advertising rules
D. Additional disclosures required
E. Catalog, multi-page, electronic ads
F. Disclosures
G. TV and radio ads
H. Taxes and insurance
I. Prohibited practices
179
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
180
Annual Percentage Rate/APR
The cost of the loan expressed in the form of a rate
that has been annualized over one year.
APR was designed as a shopping tool for consumers.
The APR calculation contains the following:
Loan amount, closing costs, note rate, loan term.
APR is always quoted when we quote a note rate.
We are allowed to use a sample APR for
advertising.
Tolerances
Section 24 Truth in Lending Act
Truth in Lending Act
http://www.fdic.gov/regulations/laws/rules/6500-200.html
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
181
APR Tolerances…Can we make a mistake
and still be in compliance? Yes:
 Example:
|________|_______ APR 7.75_______|________|
.25 .125 .125 .25
ARM FRM FRM ARM
ARM = Adjustable Rate Mortgage
FRM = Fixed Rate Mortgage
Truth in Lending Act
http://www.fdic.gov/regulations/laws/rules/6500-200.html
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Common consumer question:
What finance charges (also called settlement costs
or closing costs) are included when calculating APR?
At a typical mortgage company, software systems
are already programmed to do this for LOs.
However, customers ask questions about the TILA
disclosure forms and regulators expect licensees to
know how to answer basic questions about the
information contained in the TILA disclosure form.
182
Section 24 Truth in Lending Act
A closer look at APR (Annual Percentage Rate)
Truth in Lending Act
http://www.fdic.gov/regulations/laws/rules/6500-200.html
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Included
Prepaid interest
Mortgage insurance premiums
Wire transfer fees
Recording fees
Loan origination fee
Underwriting fee, processing
fee, admin
Mortgage broker fee
Escrow fee (also called settlement or
closing)
Borrower paid discount points
Flood Ins. premiums
Pest inspection (VA only when prop is
located in mod to high probability of area of
pest infestation and lender is paying for it.
183
Hazard Insurance
(IF obtained from a
neutral company)
Seller paid discount
points
Document prep fee
Title insurance
Notary fee
Appraisal
Credit report
Impounds for taxes & ins
Flood Hazard Check
Excluded
http://www.fdic.gov/regulations/laws/rules/6500-200.html
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 24 Module 24.3 Definitions
Finance Charge
The finance charge is a measure of the cost of
consumer credit represented in dollars and cents.
Along with APR disclosures, the disclosure of the
finance charge is central to the uniform credit cost
disclosure envisioned by the TILA.
The finance charge does not include any charge of a
type payable in a comparable cash transaction.
184
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
185
Section 24 Truth in Lending Act
A closer look at APR (Annual Percentage Rate)
Tip: How to remember which costs are included/excluded
when calculating APR:
Costs included
These are costs
that benefit the
lender or costs
that the lender
requires in order
to obtain a loan.
Costs excluded
These are costs
that are paid to
and benefit third
parties other than
the lender.
Truth in Lending Act
http://www.fdic.gov/regulations/laws/rules/6500-200.html
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Sample APR question
If seller contributes 1% to buy down the interest rate
and the buyer also contributes 1% to buy down the
interest rate, what is included in the APR calculation?
A. buyer’s 1%
B. seller’s 1%
C. neither
D. both the buyer and seller’s 1% for a total of 2%
discount points included in the APR Calc.
186
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Sample APR question:
What items are included when we calculating APR?
a) loan amount, closing costs
b) term, note rate, loan amount, appraisal
c) Prepaids, term, note rate, loan amount
d) term, note rate, loan amount
187
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Sample APR Question:
What is the APR for the following loan?
Closing costs: $2,000
Loan term: 360 months
Note rate: 5.0%
Loan amount: $200,000
a) 5.0
b) 4.9
c) 5.08
d) 6.98
188
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 24 MDIA
Consumer fees
Re-disclosure
Timing
Seven business day waiting period
Waiver of waiting period
Consumer notice
Imposition of fees
Interactions with appraisers
189
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Federal
Laws
The laws shown in
blue were passed
during the late
1960s/early 1970s and
notice that we are
currently living
through another wave
of consumer
protection laws
directed at the
mortgage lending
industry.
Truth in Lending Act
2009 Changes to TILA = MDIA
2011 FRB Rule on LO Comp
R.E. Settlement and Proc. Act
2010 Dodd Frank Act
2015 TRID
Equal Credit Opportunity Act
Fair Credit Reporting Act
Fair Housing
Other Fed Laws
2008 SAFE Act
2010 Dodd Frank Act
2015 TILA/RESPA Integrated Discl.
190
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Sample MDIA Question:
is this ad deceptive?
Call us! Acme Mortgage for your 30 year loan!
1.50%
1.95% APR
a) Yes
b) No
c) This is a violation of the TILA/MDIA advertising
rules requiring loan terms be clear and
conspicuous.
d) It may or may not be deceptive depending on
the day of the week that ends in the word “day”
191
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
192
On an owner occupied refinance, the borrower
has 3 days after signing the final loan
documents to cancel and receive a full refund
from the lender. Lenders must refund any
money collected for third party services, even
if spent.
For TILA RESCISSION purposes, business days
include Saturday (full 24 hours.)
Can the 3 day right of rescission ever be
waived?
Section 24 Module 24.8 Truth in Lending Act
Rescission
Truth in Lending Act
http://www.fdic.gov/regulations/laws/rules/6500-200.html
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 24 TILA Module 24.8
Case Study: What is the first business day on
which funds may be disbursed if:
Signing date: Thurs, May 2
1st bus. day: Fri, May 3
2nd bus. day: Sat, May 4
Sun, May 5
3rd bus. day: Mon, May 6
The loan can fund on Tuesday May 7th
193
Truth in Lending Act
http://www.fdic.gov/regulations/laws/rules/6500-200.html
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
How many copies of the rescission notice are printed?
3
1---stays in the escrow closer’s file
2 are provided (not mailed) to the borrower
If the borrower rescinds, one is signed and mailed to
escrow, and the other the borrower keeps
194
Section 24 TILA Module 24.8
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
HOEPA
High Cost Mortgage Loans
H.O.E.P.A. =
Home Ownership and Equity Protection Act
Revised HOEPA Coverage Tests:
APR exceeds APOR by more than 6.5% for first lien
mortgages, or;
APR exceeds APOR by 8.5% for first lien mortgages
under $50,000. or;
APR exceeds APOR by more than 8.5% for junior or
subordinate liens.
195
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Qualified
Mortgages
Regular periodic payments
that are substantially equal
~
Loan term does not exceed
30 years
~
Total points and fees do not
exceed 3% for loans over
$100,000
~
Total debt to income ratio
does not exceed 43%
~
If loan conforms to
guidelines set forth by
Fannie & Freddie (aka
Conventional,) FHA, VA,
USDA Loan is automatically a
QM Until 2021.
Ability to Repay: 5 Years
196
Higher PRICED
Mortgage Loans
HPMLs
Loans formerly known as
Subprime
Non-Traditional = Any loan
that’s not a 30 year fixed
rate mortgage
Non-prime
Non-QM
A loan is an HPML When:
Annual Percentage Rate (APR)
is:
1.5 or more points higher on a
fixed rate mortgage OR
2.5 or more points on a non-
conforming loan OR
3.5 or more points higher for a
subordinate lien
When compared with the
Average Prime Offering Rate
(APOR)
Ability to Repay: 7 Years
High COST
Mortgages
~
H.O.E.P.A.
Home Owner Equity
Protection Act
Originally for second mortgages,
also known as Home Equity
Lines of Credit. These are VERY
EXPENSIVE mortgages, with
higher costs due to a higher
risk.
~
Annual Percentage Rate (APR)
exceeds Average Prime Offering
Rate (APOR) by more than:
~
6.5% for first lien mortgages
OR
8.5% for first lien mortgages
under $50,000.
OR
8.5% for junior or subordinate
liens.
~
Borrower must attend a
counseling class
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Fun Fact
High-Cost loans are considered “Section 32
loans”
12 CFR 1026.32
Higher Priced loans are considered “Section 35
loans”
12 CFR 1026.35
…because these are the names of the sections
within the Truth in Lending Act, that describe
these loans.
197
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
HOEPA Thresholds for 2021
Effective January 1, 2021 for purposes of determining under
§ 1026.32(a)(1)(ii) the points-and-fees coverage test under
HOEPA to which a transaction is subject, the total loan
amount threshold is $22,052, and the adjusted points-and-
fees dollar trigger under§ 1026.32(a)(1)(ii)(B) is $1,103.
If the total loan amount for a transaction is $22,052 or more,
and the points-and-fees amount exceeds 5 percent of the
total loan amount, the transaction is a high-cost mortgage.
~
If the total loan amount for a transaction is less than
$22,052, and the points-and-fees amount exceeds the lesser
of the adjusted points-and-fees dollar trigger of $1,103 or 8
percent of the total loan amount, the transaction is a high-
cost mortgage.
198
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 24 Module 24.9 TILA
Records Retention
General Records Retention
Lenders must retain TILA records on residential mortgage loans
for three years. Other federal or state laws may require
lenders to retain records for a longer period of time.
Closing Disclosure
Lenders must retain a copy of the Closing Disclosure for five
years
Loan Originator Compensation
Lenders must retain records of loan originator compensation for
3 years unless another federal or state law requires maintaining
LO compensation records for a longer time period.
199
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 24 Module 24.10 HOEPA
The following loans will be covered by HOEPA
APR exceeds APOR by 6.5% for first lien mortgages, or
8.5% for a first lien mortgage if the dwelling is personal
property and the transaction is under $50,000
The APR exceeds the applicable APOR by more than 8.5%
for subordinate and junior liens
Points and fees exceed 5% of the total transaction amount
or, for loans less than $20,000 the lesser 8% of transaction
amount or $1,000 (adjusted annually for inflation)
200
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 24 Module 24.10 HOEPA
A lender must provide a written list of HUD-approved, housing
counseling agencies to all applicants for federally-related
mortgages
It must list the ten counseling agencies that are closest to the
centroid of the zip code of the borrower’s current address, in
descending order of proximity to the centroid. Lenders, should
they choose can put in a more precise geographic marker like the
borrower’s street address. Additionally, they can give the borrower
the option of inputting a different location then the borrower’s
current zip code, but they are not required to do so.
The list must include the following text: “The counseling agencies
on this list are approved by the U.S. Department of Housing and
Urban Development
201
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Qualified
Mortgages
Regular periodic payments
that are substantially equal
~
Loan term does not exceed
30 years
~
Total points and fees do not
exceed 3% for loans over
$100,000
~
Total debt to income ratio
does not exceed 43%
~
If loan conforms to
guidelines set forth by
Fannie & Freddie (aka
Conventional,) FHA, VA,
USDA Loan is automatically a
QM Until 2021.
Ability to Repay: 5 Years
202
Higher PRICED
Mortgage Loans
HPMLs
Loans formerly known as
Subprime
Non-Traditional = Any loan
that’s not a 30 year fixed
rate mortgage
Non-prime
Non-QM
A loan is an HPML When:
Annual Percentage Rate (APR)
is:
1.5 or more points higher on a
fixed rate mortgage OR
2.5 or more points on a non-
conforming loan OR
3.5 or more points higher for a
subordinate lien
When compared with the
Average Prime Offering Rate
(APOR)
Ability to Repay: 7 Years
High COST
Mortgages
~
H.O.E.P.A.
Home Owner Equity
Protection Act
Originally for second mortgages,
also known as Home Equity
Lines of Credit. These are VERY
EXPENSIVE mortgages, with
higher costs due to a higher
risk.
~
Annual Percentage Rate (APR)
exceeds Average Prime Offering
Rate (APOR) by more than:
~
6.5% for first lien mortgages
OR
8.5% for first lien mortgages
under $50,000.
OR
8.5% for junior or subordinate
liens.
~
Borrower must attend a
counseling class
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Sample HOEPA question
What is the APR trigger on a first lien mortgage under
HOEPA?
a) APR exceeds APOR by 6.5%
b) APR exceeds APOR by 8.5%
c) APOR is not a factor
d) APR trigger rules are irrelevant on a first lien
mortgage under the special provisional “APR Sucks”
amendment to the HOEPA section of the Dodd Frank
Act.
203
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 24
Module 24.11
Truth In Lending Act Quiz
204
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Federal
Laws
The laws shown in
blue were passed
during the late
1960s/early 1970s and
notice that we are
currently living
through another wave
of consumer
protection laws
directed at the
mortgage lending
industry.
Truth in Lending Act
2009 Changes to TILA = MDIA
2011 FRB Rule on LO Comp
R.E. Settlement and Proc. Act
2010 Dodd Frank Act
2015 TRID
Equal Credit Opportunity Act
Fair Credit Reporting Act
Fair Housing
Other Fed Laws
2008 SAFE Act
2010 Dodd Frank Act
2015 TILA/RESPA Integrated Discl.
205
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 25
Federal Reserve Board (FRB) rule
on Loan Originator Compensation
206
Module 25.1
Background
FTC v. Golden Empire Mortgage
Federal Reserve
Regulation Z: Loan Originator Compensation and Steering 12 CFR 226
http://edocket.access.gpo.gov/2010/pdf/2010-22161.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 25
Federal Reserve Board Rule on
Loan Originator Compensation
207
Module 25.2 Three main prohibitions:
P1: Compensation based on a transaction’s term
or conditions.
P2: Compensation by lender OR consumer but not
both.
P3: Prohibitions against steering.
Federal Reserve
Regulation Z: Loan Originator Compensation and Steering 12 CFR 226
http://edocket.access.gpo.gov/2010/pdf/2010-22161.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 25
Federal Reserve Board Rule on
Loan Originator Compensation
208
Module 25.2 Three main prohibitions:
P1: Compensation based on a transaction’s term
or conditions:
> Payment based on transaction terms or conditions.
> Compensation cannot go up or down based on the
loan’s terms or conditions.
> Minimum or max dollar amount of compensation
may not vary with each loan.
Federal Reserve
Regulation Z: Loan Originator Compensation and Steering 12 CFR 226
http://edocket.access.gpo.gov/2010/pdf/2010-22161.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 25
Federal Reserve Board Rule on
Loan Originator Compensation
209
Module 25.2 Three main prohibitions:
P2: Compensation by someone other than the
consumer.
If an LO will be compensated by the
consumer, the LO may not also receive
compensation from the lender funding the
loan, or any other person connected with
that transaction.
Federal Reserve
Regulation Z: Loan Originator Compensation and Steering 12 CFR 226
http://edocket.access.gpo.gov/2010/pdf/2010-22161.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 25
Federal Reserve Board Rule on
Loan Originator Compensation
210
Module 25.2 Three main prohibitions:
P3: Prohibitions against steering.
LOs may not steer a consumer to a loan only
because the LO will be compensated at a
higher rate by selling that product, unless the
loan is in the best interest of the consumer.
Federal Reserve
Regulation Z: Loan Originator Compensation and Steering 12 CFR 226
http://edocket.access.gpo.gov/2010/pdf/2010-22161.pdf
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 25 Module 25.5
Test your knowledge:
Complete the LO Comp practice quiz questions.
211
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 2 Module 2.0
Depository Bank
Checking,
savings
CAN fund its
own loans
LOs are
“registered”
212
Mortgage Broker
No ck/svgs
Does NOT fund its
own loans
Pure middleman.
Like an “agent”
For a fee, finds the
mortgage money
LOs are licensed.
In some states,
these LOs owe
fiduciary duties
to clients
Non-Depository
Lender
Non-Bank Lender
No ck/svgs
CAN fund its
own loans via
lines of credit
with banks
LOs are licensed
Consumer Loan
Act
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Federal
Laws
The laws shown in
blue were passed
during the late
1960s/early 1970s and
notice that we are
currently living
through another wave
of consumer
protection laws
directed at the
mortgage lending
industry.
Truth in Lending Act
2009 Changes to TILA = MDIA
2011 FRB Rule on LO Comp
R.E. Settlement and Proc. Act
2010 Dodd Frank Act
2015 TRID = TILA/RESPA Integrated
Disclosure Rule
Equal Credit Opportunity Act
Fair Credit Reporting Act
Fair Housing
Other Fed Laws
2008 SAFE Act
213
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 26 RESPA
RESPA =
Real Estate Settlement and Procedures Act
Definition of “Settlement Services”
RESPA defines “settlement” as any activity
surrounding the application, approval, and closing
of real estate transactions.
214
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 26 RESPA
Implemented by HUD as Regulation X, the original
purpose of RESPA was to do the following:
a) Eliminate kickbacks and referral fees;
b) Provide more effective advance disclosure of
settlement costs;
c) Reduce the amounts buyers were required to
place in escrow accounts (in loan servicing;) and
d) Provide reform and modernization for local
record keeping and land information.
215
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 26 RESPA: Mortgage Brokers
If the mortgage broker is the exclusive agent of
the institution, either the institution or the
broker must provide The Loan Estimate within
three business days after the broker receives or
prepares the application.
When the broker is not the exclusive agent of the
institution, the institution is not required to
provide The Loan Estimate if the broker has
already provided it.
However, the funding lender must ascertain that
The Loan Estimate has been delivered.
216
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 26 RESPA
RESPA is applicable to all federally related
mortgage loans.
Federally related mortgage loans are loans,
including refinances, secured by a first or
subordinate lien on residential real property upon
which:
A one- to four-family structure is located or is to be
constructed using proceeds of the loan (including
individual units of condominiums and cooperatives) or
A manufactured home is located or is to be
constructed using proceeds of the loan
217
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 26 RESPA
Exemptions:
25 acres or more
Business, commercial, agricultural loans
Temporary loans
Vacant land
Assumptions
Loan modifications
Transfer of loan servicing
218
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 26: Definition of “An Application”
Address
Loan amount sought
Income
Estimated value of the property
Name
Social security number
219
Real Estate Settlement and Procedures Act
http://www.hud.gov/offices/hsg/ramh/res/respa_hm.cfm
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Difference between Credit Pre-Approval
and an App: Financial Data
Borrower’s Name
Social Security Number
Income
Estimated value of the property
Loan amount sought
…..
Prop address (will have this if
refinance, might not have this
right away if borrower is still
house-shopping.)
…..
220
Real Estate Settlement and Procedures Act
http://www.hud.gov/offices/hsg/ramh/res/respa_hm.cfm
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Sample RESPA question
During a phone interview, borrower provides the loan
originator with her name, social security number, income,
estimated value of the home that she will be purchasing,
and the loan amount she needs, and the property address.
The loan originator has:
a) Taken a loan application.
b) Prequalified the borrower.
c) Prequalified the borrower and early disclosures will not be
sent out until the loan originator receives a fully executed
purchase and sales agreement signed by all parties.
d) Taken a loan application and early disclosures are due to be
sent to the borrower within three days.
221
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 26 RESPA
Early Disclosure Package: Loan Estimate
Within 3 days of the date on the loan application,
we send the early disclosures to our borrowers.
The Loan Estimate
If purchase-money loan: Your Home Loan Toolkit
If Adjustable Rate Mortgage, the CHARM Booklet
If HOEPA, the extra required HOEPA disclosures
Any other disclosures required by state and federal law
222
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
RESPA: Lender Required Use
When the lender requires that the borrower use a
certain settlement service provider, (for example, the
appraisal management company) the borrower is owed
an extra disclosure stating:
 The use of the provider is required
 Contact info of the provider
 Description of the relationship between lender
and provider
 Statement that there is is no affiliated business
relationship between the two companies.
223
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
RESPA: Affiliated Business Relationships
Prior to the referral, an affiliated business arrangement
disclosure statement is owed to the consumer. This disclosure
must specify both:
 The nature of the relationship (explaining the ownership
and financial interest) between the provider and the
financial institution and
 The estimated charge or range of charges generally
made by such provider
This disclosure must also be provided on a separate piece of
paper either at the time of loan application, or with the Loan
Estimate, or at the time of the referral.
Generally, the institution may NOT require the use of such a
provider
224
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
RESPA: Escrow Accounts (loan servicing)
The amount of escrow funds that may be
collected at settlement or upon creation of an
escrow account is restricted to an amount
sufficient to pay charges, such as taxes and
insurance, that are attributable to the period
from the date such payments were last paid
until the initial payment date.
225
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
226
Which entities must comply with the
anti-kickback provisions of RESPA?
Lenders (banks, lenders, brokers)
Real estate brokers/Realtors
Title and Escrow
Appraisers
Home inspectors
Mortgage insurance companies
Credit reporting agencies
Flood hazard check companies
Attorneys
Hazard insurance companies
Home warranty companies
Builders
Real Estate Settlement and Procedures Act
http://www.hud.gov/offices/hsg/ramh/res/respa_hm.cfm
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
RESPA Anti-kickbacks
RESPA Section 8:
Any person who gives or receives a fee or a thing
of value (a payment, commission, fee, gift, or
special privilege) for the referral of settlement
business is in violation of section 8 of RESPA.
Payments in excess of the reasonable value of
goods provided or services rendered are
considered kickbacks.
227
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
228
Q: What is an “un-earned fee?”
Un-earned fee, also called a kickback:
A fee we receive but we have performed no
work in exchange for receiving the fee.
Example: Referral fees given or received are a
violation of RESPA
Quid Pro Quo. This for that
Real Estate Settlement and Procedures Act
http://www.hud.gov/offices/hsg/ramh/res/respa_hm.cfm
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 26 RESPA
Violations of Section 8's anti-kickback, referral fees
and unearned fees provisions of RESPA are subject to
criminal and civil penalties.
In a criminal case a person who violates Section 8 may
be fined up to $10,000 and imprisoned up to one year.
In a private law suit a person who violates Section 8
may be liable to the person charged for the
settlement service an amount equal to three times
the amount of the charge paid for the service.
229
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
RESPA Kickbacks
Large group discussion on common scenarios LOs
may face once licensed.
Are any of these scenarios allowed under the
anti-kickback Section 8 of RESPA?
230
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Asked to sponsor an event
1) Be there
2) cannot pay for the entire event
3) Signage
4) Collateral …FLYERS
5) Speak at the event
6) No Quid pro quo
231
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
MSAs = Marketing Services Agreements
Examples:
CFPB v. Prospect Mortgage, Keller Williams and RE/MAX
CFPB v. Lighthouse Title
CFPB v. Planet Financial
232
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 26
RESPA
Take the RESPA quiz
233
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Federal
Laws
The laws shown in
blue were passed
during the late
1960s/early 1970s and
notice that we are
currently living
through another wave
of consumer
protection laws
directed at the
mortgage lending
industry.
Truth in Lending Act
2009 Changes to TILA = MDIA
2011 FRB Rule on LO Comp
R.E. Settlement and Proc. Act
2010 Dodd Frank Act
2015 TRID
Equal Credit Opportunity Act
Fair Credit Reporting Act
Fair Housing
Other Fed Laws
2008 SAFE Act
2010 Dodd Frank Act
234
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
235
LE --- (loan estimate)------Ellie?
CD ---- (closing disclosure)-------Seedy?
Try hard to not use these acronyms with consumers.
“CD” means something different to
Realtors: Commission Disbursement
Part of the Dodd Frank Act
Went into effect Oct 3, 2015
TRID
TILA RESPA Integrated Disclosure Rule
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
236
Section 27
TILA RESPA Integrated Disclosure Rule
Intent To Proceed
Real Estate Settlement and Procedures Act (2009 Changes)
http://www.federalreserve.gov/boarddocs/supmanual/cch/respa.pdf
Imposing fees on a consumer before the consumer has
received the Loan Estimate and indicated an “intent to
proceed” with the transaction.
A consumer may indicate intent to proceed in any manner
the consumer chooses, unless a particular manner of
communication is required by the creditor.
A consumer’s silence is not indicative of intent to proceed.
A creditor must document this communication to satisfy the
record retention requirements.
Jillayne Schlicke
CE Forward, Inc. DBA NAMF
Section 27
TILA RESPA Integrated Disclosure Rule
Rule regarding “worksheets”
There are other restrictions on the form of this
statement to assure it is not confused with the Loan
Estimate:
Must be in font size no smaller than 12-point font.
May not have headings, content, and format
substantially similar to the Loan Estimate or the Closing
Disclosure.
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021
20 Hour Loan Originator Pre-Licensing Slides 2021

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20 Hour Loan Originator Pre-Licensing Slides 2021

  • 1. 20 Hour SAFE Comprehensive Pre-Licensing and Exam Prep C-12020 WA State Pre-Licensing C-11978 Jillayne Schlicke
  • 2. Jillayne Schlicke CE Forward, Inc. DBA NAMF Welcome! Please complete the sign-in sheet, including an address. If you’re not yet employed with a mortgage company, use your home address. Read and sign the NMLS Rules of Conduct for Students. Photo ID required. Any of these are fine: Driver’s license, passport, state ID card, military ID that contains both a picture and a signature 2
  • 3. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 1 Introduction  Introduction of trainer  Introduction of students  Who are you  Where do you work  What do you do? LOA = Loan Originator Assistant  Exam anxieties 3
  • 4. Jillayne Schlicke CE Forward, Inc. DBA NAMF 4 Section 1 Module 1.1
  • 5. Jillayne Schlicke CE Forward, Inc. DBA NAMF 5 Exam Components AS OF APRIL 5, 2021 24% Federal Law 20% General Mortgage Knowledge programs, products, terms 27% Loan Origination Activities application, qualifying, title, escrow, math 18% Ethics consumer protection, fraud, fair housing 11% Uniform State Content licensing law, prohibited practices
  • 6. Jillayne Schlicke CE Forward, Inc. DBA NAMF 6 Content Area 2020 2021 Increase or decrease? Federal Law 23% 24% increase Uniform State Content 13% 11% decrease General Mortgage Knowledge 23% 20% decrease Loan Originator Activities 25% 27% increase Ethics: Consumer Protection Fraud, Fair Housing 16% 18% increase
  • 7. Jillayne Schlicke CE Forward, Inc. DBA NAMF 7 Section 1 Module 1.1 Exam prep basics: If you understand the purpose of each law, you are on your way to selecting the best answer on a multiple choice exam. There will be two obvious wrong answers. If you know the purpose of the law, you will be able to spot these. Of the two that remain, one will be a little bit better than the other. Exam writers do not write trick questions. The language of the test questions look tricky because you are being tested on law and most lay people are not use to reading law on a daily basis. This is the only fair way to deliver a 50-state exam.
  • 8. Jillayne Schlicke CE Forward, Inc. DBA NAMF Question a. b. ______________________ c. __________ _______ d. 8
  • 9. Jillayne Schlicke CE Forward, Inc. DBA NAMF 9 Section 1 Module 1.1 What’s your learning style? Auditory-learns by listening Visual-learns by processing images Tactile-learns best when writing Whole Body-learns best when entire body is engaged Emotional-learns best when complex info can be tied to an emotion Verbal-will send link to article about this learning style https://www.brightoncollege.edu/study-tips-for-verbal-learners/ Learning disabilities- You may be eligible for extra accommodations if you have a diagnosed learning disability. Contact the NMLS after reading the exam candidate handbook.
  • 10. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 1 Module 1.2 History of Mortgage Lending in America National Bank Act Federal Reserve Act Thrift Institutions Mortgage Lending Prior to Great Depression Government Involvement in Banking FHA, Fannie Mae, VA, USDA 1940s through present day 10
  • 11. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.0 Depository Bank Checking, savings CAN fund its own loans LOs are “registered” 11 Mortgage Broker No ck/svgs Does NOT fund its own loans Pure middleman For a fee, finds the mortgage money LOs are licensed. In some states, these LOs owe fiduciary duties to clients Non-Depository Lender Non-Bank Lender No ck/svgs CAN fund its own loans via lines of credit with banks LOs are licensed Consumer Loan Act
  • 12. Jillayne Schlicke CE Forward, Inc. DBA NAMF The Mortgage Machine A mortgage is like a machine with many moving parts. Shout out all the different entities/different jobs that are involved with creating a mortgage loan…. 12
  • 13. Jillayne Schlicke CE Forward, Inc. DBA NAMF The Mortgage Machine What are the different pieces of the mortgage machine? Loan originators... 13
  • 14. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.1 There are many moving parts in the Mortgage Machine. The function of loan origination is just one piece. 14 Loan Originator Loan Processor Underwriter Funder, Quality Control Title Insurance Escrow Appraiser Insurance Builders Realtors Secondary Market Loan Servicing Regulators and Examiners Consumer
  • 15. Jillayne Schlicke CE Forward, Inc. DBA NAMF Definition of an LO Licensed (6) MORTGAGE LOAN ORIGINATOR— (a) IN GENERAL—The term ‘‘mortgage loan originator’’— (i) Means an individual who for compensation or gain or in the expectation of compensation or gain— (A) Takes a residential mortgage loan application; or (B) Offers or negotiates terms of a residential mortgage loan; (ii) Does not include an individual engaged solely as a loan processor or underwriter. (iii) Does not include a person or entity that only performs real estate brokerage activities and is licensed or registered in accordance with state law, unless the person or entity is compensated by a lender, a mortgage broker, or other mortgage loan originator or by any agent of such lender, mortgage broker, or other mortgage loan originator; and (iv) Does not include a person or entity solely involved in extensions of credit relating to timeshare plans, as that term is defined in section 101(53D) of title 11, United States 15
  • 16. Jillayne Schlicke CE Forward, Inc. DBA NAMF Licensed Loan Originator The term ‘‘mortgage loan originator’’ Means an individual who for compensation or gain or in the expectation of compensation or gain Takes a residential mortgage loan application; or Offers* or negotiates terms of a residential mortgage loan; *Example: Advertising, quoting rates, fees loan programs. That would include social media posts 16
  • 17. Jillayne Schlicke CE Forward, Inc. DBA NAMF Processing and Underwriting Processor Analyzes documents Calls borrower and asks questions Prepares the file for underwriting Will be the person you’ll go to with questions, when you can’t reach your boss. 17 Underwriter Makes sure the loan conforms to all guidelines set forth by the secondary market. Makes sure the borrower qualifies 4Cs Character Capacity Capital Collateral
  • 18. Jillayne Schlicke CE Forward, Inc. DBA NAMF 18 Section 2 Module 2.2 RESIDENTIAL LOAN APPLICATION ~ The acronym ALIENS can help you remember the six pieces of information that constitute a loan application: ~ Address Loan amount Income Estimated value of the home Name Social security number
  • 19. Jillayne Schlicke CE Forward, Inc. DBA NAMF 19 Section 2 Module 2.2 Break into small groups and talk about sections of the loan application  What sections might the customers ask you about?  What sections might the customer consider lying?  What sections might the customer refuse to provide information?
  • 20. Jillayne Schlicke CE Forward, Inc. DBA NAMF 20 Section 2 Module 2.2 Large group discussion: Occupancy Assets Date of Birth Former employer Ways of holding title Acknowledgement, signature Other Real Estate Owned Marital Status HMDA (Home Mortgage Disclosure Act)
  • 21. Jillayne Schlicke CE Forward, Inc. DBA NAMF Fannie Mae Deed of Trust 6. Occupancy. Borrower shall occupy, establish, and use the Property as Borrower’s principal residence within 60 days after the execution of this Security Instrument and shall continue to occupy the Property as Borrower’s principal residence for at least one year after the date of occupancy, unless Lender otherwise agrees in writing, which consent shall not be unreasonably withheld, or unless extenuating circumstances exist which are beyond Borrower’s control. https://www.fanniemae.com/singlefamily/security-instruments 21
  • 22. Jillayne Schlicke CE Forward, Inc. DBA NAMF Home Mortgage Disclosure Act HMDA When face to face with the borrower, and the borrower refuses to provide answers, loan originator is required to check the boxes on behalf of the applicant based on visual observation and surname. If the borrower and loan originator are not face-to-face such as a loan application taken over the phone or over the Internet, and the borrower refuses to answer the questions, the loan originator IS NOT required to check the boxes on behalf of the applicant. 22
  • 23. Jillayne Schlicke CE Forward, Inc. DBA NAMF 23
  • 24. Jillayne Schlicke CE Forward, Inc. DBA NAMF Frequently Asked Question: What’s the difference between Hispanic and Latino? Latino is a term that is telling us about geography Hispanic is a term that is telling us about language.
  • 25. Jillayne Schlicke CE Forward, Inc. DBA NAMF Hispanic and Latino Latino From Latin America Refers mostly to everything south of the United States including the Caribbean. Hispanic From a country whose primary language is Spanish.
  • 26. Jillayne Schlicke CE Forward, Inc. DBA NAMF Hispanic and Latino But not every country in Latin America speaks Spanish, and some countries that speak Spanish are not located in Latin America. Brazil Latin but not Hispanic. Speaks Portuguese Spain Hispanic but not Latino. Speaks Spanish
  • 27. Jillayne Schlicke CE Forward, Inc. DBA NAMF HMDA Discussion Questions Why do Federal regulators want to know if a consumer is a member of one of the sub-categories? Why aren’t white ethnic categories offered? Example: Irish, German What box is checked when your client is from the Middle East?
  • 28. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.3 Last two most recent paystubs Last two years W-2s Last three months bank statements Most recent statement on 401Ks or IRAs Documentation of ownership of stocks, bonds Last two months statements from any investment account Information on current mortgage or landlord contact info Soc number or green card for all borrowers or co-signers Letter of explanation for any known credit problems Documentation supporting any other income For self employed, borrowers paid on commission or in the field of sales, and borrowers who own other real property: Two years signed personal tax returns including all schedules IRS Form 4506-C 28
  • 29. Jillayne Schlicke CE Forward, Inc. DBA NAMF Qualifying the Applicant: The Four Cs Character (credit history) Capacity (stable, reliable, sufficient income) Capital (verification of funds for down payment) Collateral (how much is the home worth?) 29
  • 30. Jillayne Schlicke CE Forward, Inc. DBA NAMF 30 Section 2 Module 2.4 FIRST RATIO PITI Principal, Interest, Taxes, Insurance plus home owner’s assoc dues, if applicable Divided by Total gross monthly income = % SECOND RATIO PITI plus all other monthly revolving debt Divided by Total gross monthly income = %
  • 31. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.5  Loan Processing  As documents are received, processors compare the information verified to the original loan application and consult the credit underwriting guidelines.  A processor is a liaison between the originator, the borrower, the Realtor, underwriting and management. 31
  • 32. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.6 Employment and Income Verification Verification of Employment The Work Number (Equifax) Request for Verification of Employment (Fannie Mae Form 1005) Calculating gross pay Tax returns Miscellaneous income 32
  • 33. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.7 Gaps in Employment. Case Study: Morgan and Elizabeth are applying to refinance their home. Morgan has a 4-year gap in employment history. Prior to the time off, Morgan was working in the financial sector and has recently re-entered the financial sector, at a similar salary. Both incomes are needed to qualify. What will the underwriter ask for? 33
  • 34. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.7 For borrowers with gaps in employment of six months or more, the underwriter may consider the borrower’s current income as effective income if it can verify: 1) The borrower has been employed in the current job for at least six months at the time of FHA case number assignment, AND 2) verification of a two year work history prior to the absence from employment. 34
  • 35. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.8 Assets Acceptable assets for down payment Assets for reserves Ineligible assets Verification of Deposit (VOD) Gift Letters 35
  • 36. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.9  Underwriting  Sufficient and stable monthly income  Prior credit history  Assess collateral  Sufficient down payment Other factors: Payment shock, debt-to-income ratios, cash on hand after closing, other compensating factors 36
  • 37. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.10 Case Study: David and Ryan Read the case study. Break into small groups and discuss: Is this an approvable loan? If yes, why? If no, why not? Justify your decision. Large group recap 37
  • 38. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.11 Ability to Repay Rule under Dodd Frank Act Eight factors: ~ 1. Current income and assets 2. Current employment 3. Monthly mortgage payment 4. Monthly payment on simultaneous loans 5. Property taxes, fire/flood insurance, HOA dues 6. Debts including alimony or child support 7. Monthly total DTI ratio 8. Credit history Underwriters CAN consider other factors 38
  • 39. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 3 Credit Module 3.1 What is a credit report? What are credit reporting agencies? What information is contained in a credit report? Have you ever ordered a credit report on yourself? AnnualCreditReport.com 39
  • 40. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 3 Module 3.2 What’s in a FICO Score? 35% payment history 30% amount owed 15% length of credit history 10% new credit 10% types of credit used 40
  • 41. Jillayne Schlicke CE Forward, Inc. DBA NAMF History of land titles in the U.S. Great movies to watch and their historical time frame Far and Away (1890s-1893) There Will Be Blood (1898-1911) Little House on the Prairie (1871-) First Cow (2020) Nomadland (2020) 202106010001 Warranty Deed 202106010002 Deed of Trust We needed a system of recording the sale of property. Late 1700s onward 41
  • 42. Jillayne Schlicke CE Forward, Inc. DBA NAMF 42 Section 4 Title Insurance Module 4.1 What does it mean when we say we hold title to something? Is there a document called “title” that we get when we buy a home? Can we do anything we want with and to our home and land? How deep into the ground and how high up do our property rights extend?
  • 43. Jillayne Schlicke CE Forward, Inc. DBA NAMF Can we do anything we want with our property? Can I build anything I want? Can I build a house that would take up the entire lot? Can I paint my house any color I want? If I dig a hole, how far down do I own? How far up do I own? 43
  • 44. Jillayne Schlicke CE Forward, Inc. DBA NAMF There are limits to what we can do: Federal law, state law, county laws, city laws Zoning, set-backs from the boundary line Local covenants, conditions and restrictions (CCRs) Mineral rights Easements Height restritions 44
  • 45. Jillayne Schlicke CE Forward, Inc. DBA NAMF 45
  • 46. Jillayne Schlicke CE Forward, Inc. DBA NAMF 46
  • 47. Jillayne Schlicke CE Forward, Inc. DBA NAMF 47 ----------------Road----------------------- Easement to replace the water main is located six feet underground throughout the entire plat
  • 48. Jillayne Schlicke CE Forward, Inc. DBA NAMF 48 Section 4 Title Insurance Module 4.2 For a one time fee, a title insurance company will check the public records system and disclose all matters that affect the title of real property. They will insure against loss and defend you should somebody lay claim to your title. Pay once, it’s good for as long as you or your heirs own the property. Starts the day of closing and looks backward in time.
  • 49. Jillayne Schlicke CE Forward, Inc. DBA NAMF 49 Section 4 Title Insurance Module 4.3 How does a title company protect residential homeowners and residential lenders? Owner’s policy: Paid for by the seller, protects the brand new home buyer. Policy is good as long as home owner/heirs own the property. Lender’s policy: paid for by the home buyer, protects the LENDER in case of default. Lender wants insurance that they will be in first lien position if they ever have to foreclose on the property. New lender’s policy each time the homeowner refinances.
  • 50. Jillayne Schlicke CE Forward, Inc. DBA NAMF Physical Rights of Real Estate 50 Center of the Earth Surface rights Fly-over rights Mineral, water, oil, and gas rights Air rights
  • 51. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 4 Module 4.4 Title insurance troubleshooting Who is in title to sell the home? Who is in title when refinancing? Undisclosed liens against seller or homeowner (refi) Mortgage paid off but reconveyance not recorded First mortgage being refinanced, but second mortgage needs to stay in second position (re-subordinate) Easements Encroachments 51
  • 52. Jillayne Schlicke CE Forward, Inc. DBA NAMF 52 Section 4 Module 4.5 Case Study Small group assignment: Read the case study “John and Sara” Come up with 10 things a loan originator must discuss/discover before moving forward with this transaction.
  • 53. Jillayne Schlicke CE Forward, Inc. DBA NAMF 53 Section 4 Module 4.5 Legal rights and responsibilities of a title company. A title company has two duties: Duty of defense Duty of indemnification
  • 54. Jillayne Schlicke CE Forward, Inc. DBA NAMF What is escrow?  To hold something until something happens  Neutral third party  Only accepts instructions in writing  Limited Practice Officer (LPO) 54
  • 55. Jillayne Schlicke CE Forward, Inc. DBA NAMF 55 Section 5 Module 5.1-5.7 What is escrow? What is the Closing Disclosure? What is the difference between an escrow agent and an escrow officer? What does an escrow closer do? What are the Escrow Instructions? What are the duties of an escrow agent Borrower’s signatures and requirements Issues that could delay closing
  • 56. Jillayne Schlicke CE Forward, Inc. DBA NAMF 56 Section 6 Appraisals Module 6.1-6.7 What is an appraisal? What are the three types of approaches to reconciling the appraised value? How does an appraiser make adjustments? Borrower’s right to receive a copy of the appraisal Appraisal requirements for Higher Priced Mortgage Loans
  • 57. Jillayne Schlicke CE Forward, Inc. DBA NAMF Three approaches to an appraised value Cost If this home were to burn down, how much would it cost to rebuild it? Market data What are similar homes selling for right now? Income How much would this home rent for, right now? 57
  • 58. Jillayne Schlicke CE Forward, Inc. DBA NAMF 58 Section 7 Insurance Module 7.1-7.4 General fire/hazard property insurance coverage Flood insurance Private Mortgage Insurance (conventional loans only) Private Mortgage Insurance Act of 1998
  • 59. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 8 Financial Calculations Used in Mortgage Lending 1. Calculate the periodic interest rate for an annual mortgage rate of 5.0% 0.05 divided by 12 = 0.0042 or 0.42% 59
  • 60. Jillayne Schlicke CE Forward, Inc. DBA NAMF Per diem interest 2. Interest Per Diem (per day) a. Principal x rate divided by 365 3. Calculate per diem interest with a loan amount of $300,000 and a note rate of 5.0% $41.09 60
  • 61. Jillayne Schlicke CE Forward, Inc. DBA NAMF Deb-to-income ratios 4. Monthly gross income is 8,333.33 Total housing expense is 2,000. (PITI). Total long term installment debt is $649 per month. What are the first and second ratios? 2000 divided by 8333.33 = 24% 2000 + 649 = 2649 2649 divided by 8333.33 = 32% 61
  • 62. Jillayne Schlicke CE Forward, Inc. DBA NAMF Debt-to-income ratios 5. Monthly gross income is $18,750. Total housing expense is $4295. (PITI). Total long term installment debt is $3937 per month. What are the first and second ratios? 4295 divided by 18,750 = 23% 4295 + 3937 = 8,232 8232 divided by 18,750 = 44% 62
  • 63. Jillayne Schlicke CE Forward, Inc. DBA NAMF 6. Upfront mortgage insurance premiums An FHA fixed rate loan with a 30 year term requires a 1.75% up front premium and an annual premium of .85%. The base loan amount is $200,000. upfront: 200,000 x 1.75 = 3,500. annual: 200,000 x .85 = 1,700 monthly: 1700 div by 12 = 141.67 63
  • 64. Jillayne Schlicke CE Forward, Inc. DBA NAMF 7. Total interest paid over loan term Your client is borrowing $189,000 on a 30 year fixed rate loan. His monthly P&I payments will be $1,241.73 He wants to know the total amount of interest that will be paid over the life of the loan. Your answer is: 1241.73 (principal and interest) x 360 (multiplied by the loan term. Hint: 30 x 12) = 447,022.80 (P&I paid over 30 years) – 189,000.00 (subtract the loan amount) = 258,022.80 (and what’s left is the interest) 64
  • 65. Jillayne Schlicke CE Forward, Inc. DBA NAMF 8. Calculating Loan Amount A homebuyer makes an offer on a home and wants to make a 20% down payment so she can avoid private mortgage insurance. What would the loan amount be in this transaction if the sales price is $400,000 and the appraised value is $395,000? Whichever is less x 80% 395,000 x 80% = $316,000 “an 80% LTV loan.” 65
  • 66. Jillayne Schlicke CE Forward, Inc. DBA NAMF 9. Loan amount when financing MIP A refinancing homeowner is selecting an FHA loan with an upfront MIP that she would like to finance into the loan amount. What is the final loan amount? Base loan amount: 350,000 Upfront MIP: 1.75% 350,000 x 1.75% = 6,125.00 Final loan amount when financing the MIP = Base loan amount + MIP = Final loan amount 350,000 + 6125.00 = 356,125.00 66
  • 67. Jillayne Schlicke CE Forward, Inc. DBA NAMF 10. Escrow (bank) account in loan servicing Borrower’s monthly mortgage payment breakdown looks like this: Principal = 1106.15 Interest = 606.15 Escrow account to pay real estate taxes and hazard insurance = 203.19 What is the principal and interest payment (P&I) only? 1106.15 + 606.15 = $1712.30 What is the full monthly payment including taxes and insurance (PITI)? 1106.15 + 606.15 + 203.19 =$1915.49 67
  • 68. Jillayne Schlicke CE Forward, Inc. DBA NAMF 11. Borrowers always prioritize making their car payment first each month and then their second mortgage and finally their first mortgage. How will a first mortgage lender view this practice? a) Order of payments makes no difference to an underwriter. b) Order of payments makes no difference to an underwriter provided the loans are always paid on time. c) Underwriters are looking for patterns in credit behavior. Making the first mortgage payment third priority is a valid reason for declining the loan if there is a consistent pattern of late payments. d) Underwriters are looking for patters in credit behavior. Making the first mortgage payment third priority is not a valid reason to decline the loan. 68
  • 69. Jillayne Schlicke CE Forward, Inc. DBA NAMF 12.New Construction Sale price of the lot is $100,000 Cost to build the home is $200,000 Closing costs estimated: $9,000 What is the estimated completed value of the home plus land? 100,000 + 200,000 =$300,000. What is the estimated down payment if this borrower would like to put 20% down? 300,000 x 20% = $60,000. What is the estimated cash needed to close the loan? 60,000 + 9,000 = $69,000 69
  • 70. Jillayne Schlicke CE Forward, Inc. DBA NAMF 13. Purchase money loan See course book for loan details. 265,000 – 13,250 = 251,750 loan amount Next add together sales price and closing costs 265,000 + 4,000 = 269,000 Now take the above 269,000 and subtract out the loan amount 269,000 – 251,750 = 17,250 Homebuyer has paid $800 up front for an appraisal and put down $5,000 earnest money. We need to credit this to the borrower. 800 + 5000 = 5800 Now subtract out the credits and we have the cash needed to close the loan. 17,250 – 5800 = 11,450 70
  • 71. Jillayne Schlicke CE Forward, Inc. DBA NAMF 14. Calculate the down payment for the following sale: Purchase price is $500,000 Calculate a 20% down payment: 500,000 x 20% = $100,000. Uh oh, appraisal comes in at $490,000 Now calculate the 20% down payment: 490,000 x 20% = $98,000. Note: Cash needed to close the loan will be higher, but that’s not what the question is asking. 71
  • 72. Jillayne Schlicke CE Forward, Inc. DBA NAMF 15. Calculating Loan-To-Value What is the loan to value ratio for a loan amount of $405,000 where the sales price and appraised value of the property are both $450,000? 405,000 div by 450,000 = 90% 72
  • 73. Jillayne Schlicke CE Forward, Inc. DBA NAMF 16. Calculating Loan-To-Value Borrower would like to avoid paying mortgage insurance on a conventional loan and has plenty of money for a down payment. Sales price is $375,000 and the appraised value is $365,000. What is the loan amount in order to provide this borrower with an 80% loan-to-value mortgage? $365,000 x 80% = $292,000. 73
  • 74. Jillayne Schlicke CE Forward, Inc. DBA NAMF Discount Points Note Rate: 4.00 % = 1% Lender Credit. This can be used to pay costs on a refi or purchase Note Rate: 3.50 % = Par Note Rate: 3.00 % = 1% Discount points paid by borrower _______________________________________________ Example: 200,000 loan amount Note Rate: 4.00 % = 1% Lender Credit of $2,000 Note Rate: 3.50 % = 0 No cost to the borrower and no credit given to the borrower Note Rate: 3.00 % = 1% Discount Points will cost the borrower $2,000 74
  • 75. Jillayne Schlicke CE Forward, Inc. DBA NAMF 75 Rate Points Consumer’s Situation Consumer Might Decide to: What This Means to the Consumer 4.00% 1.0% Lender Credit Consumer does not want to pay a lot of cash up front and can afford a slightly higher monthly payment. Pay a slightly higher payment each month. Pay a higher interest rate over the life of the loan and not have to come up with any money up front to cover closing costs. Consumer chooses a higher rate of 4.00%, in exchange for $2,000. To cover closing costs. Today: Consumer receives $2,000. Over the life of the loan: Consumer pays slightly more each month. 3.5% 0 Par Consumer is satisfied with the rate and chooses not to pay discount points to buy a lower rate OR choose a higher rate to cover closing costs with a lender credit. Pay zero points The par rate does not require consumer to pay points. The par rate does not provide a lender credit. 3.00% 1.0% Discount Points Consumer plans to keep the mortgage for a long time. Consumer can afford to pay more cash at closing. Consumer wants a slightly lower payment Pay discount points and select a lower rate. This will save the consumer money over the life of the loan. Consumer might agree to pay $2,000. more in closing costs in exchange for a lower rate of 3.005%. Now: Pay $2,000. Over the life of the loan: Pay slightly less each month
  • 76. Jillayne Schlicke CE Forward, Inc. DBA NAMF 17. Discount points The purpose of discount points is: a) To allow lenders to charge a higher rate due to a low credit score. b) To allow the consumer to pay some of the interest up front by purchasing a lower rate, in order to pay less interest over the life of the loan. c) To allow the borrower to obtain a credit from the lender to cover closing costs, and reducing the amount of up front money to close the loan. d) To allow the loan originator to earn additional fee income. 76
  • 77. Jillayne Schlicke CE Forward, Inc. DBA NAMF 18. Using the Lender Credit Consumer chooses a slightly higher rate of 5.125% in order to obtain a credit from the lender. LOs may use the lender credit to: A.Cover the closing costs with the lender credit B.Cover the closing costs with the lender credit and LO may also keep what’s left over as a bonus. C.Cover the closing costs with the lender credit and distribute what’s left over to the Realtor D.Cover the closing costs with the lender credit and may give what’s left over to the consumer in the form of $14.00 gift cards to cover the monthly payment for a while 77
  • 78. Jillayne Schlicke CE Forward, Inc. DBA NAMF Prepaids 19. Calculate the following pre-paid items to be collected from the borrower at closing: a) Homeowner’s insurance premium: $125/month for 6 months 125 x 6 = $750. b) Mortgage insurance premium: $48/month for 3 months 48 x 3 = $144 c) Prepaid, daily interest $20.38/day for 15 days 20.38 x 15 = $305.70 d) Real estate taxes $145.33 per month for 4 months 145.33 x 4 = $581.32 78
  • 79. Jillayne Schlicke CE Forward, Inc. DBA NAMF Closing Costs 20. A buyer is purchasing a home with a 95% conventional fixed rate mortgage of $104,500. The maximum dollar amount the seller may contribute to the buyer in this case is 3% of the sales price. Hint: First compute the sales price then multiply by 5% Loan Amount 104,500 divided by .95 = The sales price: 110,000 Seller contribution: 110 x 3 percent = 3,300 79
  • 80. Jillayne Schlicke CE Forward, Inc. DBA NAMF Loan origination charges 21. A homeowner is refinancing and would like to pay no more than 1 percentage point in loan origination charges. Loan amount is 375,000. Your company charges the following loan origination fees: Loan Origination fee .50 Underwriting fee .25 Processing fee .25 Will you be able to serve this customer? .50 x 375,000 = 1,875.00 .25 x 375,000 = 937.50 .25 x 375,000 = 937.50 Total $3750 80
  • 81. Jillayne Schlicke CE Forward, Inc. DBA NAMF 22. Seller buy-downs A homebuyer would like to have the seller buy down the interest rate by contributing 2 percent of the sales price to purchase discount points in order to lower the note rate on the loan by 1 percent. Sales price: $325,000 Loan amount: $292,500 Note rate at par is 4.75% Borrower will have how much money contributed by the seller? 325,000 x 2% = $6,500. Purchasing 1 discount point to obtain a lower rate will cost: 292,500 x 1% = $2925. How much will the borrower have left over to cover other costs? 6500 – 2925 = $3575. 81
  • 82. Jillayne Schlicke CE Forward, Inc. DBA NAMF 23. Adjustable Rate Mortgages 5/1/1 Treasury Securities Indexed ARM loan has a starting rate of 2.0%. At the first adjustment, the index is 3.0% and the margin is 2.25%. What is the fully indexed rate? 3.0 + 2.25 = 5.25% The Index is an economic indicator used to calculate interest rate adjustments for ARM loans. The index rate can increase or decrease at any time. The Margin remains stable over the life of the loan 82
  • 83. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 9: Qualified Mortgages How to understand the role of Federal Law and The Secondary Market in the practice of mortgage lending. Federal Law is our foundation and everything is built on top of that. 83
  • 84. Jillayne Schlicke CE Forward, Inc. DBA NAMF Your mortgage company’s product “overlays” Example: Credit score can be no lower than 620 Conventional Loan Products | Government Loan Products Example: 30 year fixed rate loan Conventional Loan Programs | Government Loan Programs Mortgage-backed securities GNMA (Ginnie Mae Bonds) Example: Owner Occupied Single Family Purchase or Refi Fannie Mae and Freddie Mac | FHA/VA/USDA The Secondary Market provides guidelines on loans eligible for purchase State Law Federal Law 84
  • 85. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 10 The Secondary Market: Conventional Loans Fannie Mae and Freddie Mac purchase mortgages from banks and lenders. F and F turn a bundle of mortgages into “mortgage-backed securities” F and F guarantee principal and interest to the investor, if the borrower does not make their payment 85
  • 86. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 9 Module 9.2 Financial crisis of 2008 led to: Fannie Mae and Freddie Mac being taken into government conservatorship. FHA eventually went insolvent as well, after absorbing the collapse of subprime loans in 2008. All three entities received a direct draw from the U.S. Treasury. As such, consumers asked for and received massive regulatory reform: The Dodd Frank Act of 2010 86
  • 87. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 9 Module 9.3 Ability to Repay Rule under Dodd Frank Act of 2010 Eight factors: ~ 1. Current income and assets 2. Current employment 3. Monthly mortgage payment 4. Monthly payment on simultaneous loans 5. Property taxes, fire/flood insurance, HOA dues 6. Debts including alimony or child support 7. Monthly total DTI ratio 8. Credit history Underwriters CAN consider other factors 87
  • 88. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 9 Qualified Mortgages and The Dodd Frank Act Regular periodic payments that are substantially equal ~ Loan term does not exceed 30 years ~ Total points and fees do not exceed 3% for loans over $100K ~ Total debt to income back-end ratio does not exceed 43%* ~ *If loan conforms to guidelines set forth by Fannie & Freddie (aka Conventional loans,) FHA, VA, USDA then loan is automatically a QM UNTIL Oct 1, of 2022 ~ Ability to Repay: 5 Years 88
  • 89. Jillayne Schlicke CE Forward, Inc. DBA NAMF Qualified Mortgage Rules for 2021 89
  • 90. Jillayne Schlicke CE Forward, Inc. DBA NAMF The Secondary Market: Gov Loans Banks and lenders bundle government loans into a pool of mortgage backed securities, called Ginnie Mae Bonds. GNMA = Government National Mortgage Association, nicknamed Ginnie Mae Ginnie Mae guarantees principal and interest to the investor, if the borrower does not make their payment 90
  • 91. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 10 The Secondary Market The secondary market consists of different entities that purchase residential mortgage loans from banks and non- bank lenders. Once the loan is purchased, the money returns to the banks and non-bank lenders so they may re-lend the money over and over again. This helps guarantee an ongoing flow of mortgage money available to banks and non-bank lenders and ultimately consumers. Not all banks and non-bank lenders sell their loans on the secondary market. Some companies hold the loans in their own portfolio. However, the majority of loans you will be originating will be sold on the secondary market. 91
  • 92. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 10 Fannie Mae and Freddie Mac Responsibilities Conventional loan programs Limits on closing cost concessions Loan Level Pricing Adjustments AUS N.O.O. rental 20% Acceptable down payment amounts Hazard/fire insurance requirements Pre-payment requirements 92
  • 93. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 11 Government Loan Programs Types of government guarantors FHA FHA Loan Limits FHA Eligible Property FHA’s required Mortgage Insurance Premium (MIP) FHA monthly MIP scenarios Practice: Calculate the Monthly MIP Required Documentation 93
  • 94. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 11, Module 11.7 Calculate MIP Calculate the MONTHLY Mortgage Insurance Premium for the following loan: Loan Amount 450,000 30 year fixed Loan to Value is greater than 95% 450,000. x .85 = $3,825.00 annually. Divided by 12 = $318.75 per month 94
  • 95. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 11 Mod 11.9 VA Loans VA loan facts VA loan limits VA funding fee Eligible property for a VA loan Certificate of Eligibility (COE) Entitlement Acceptable funds for down payment and closing costs Residual income 95
  • 96. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 11 Mod 11.18 USDA loans What is a USDA loan? Minimum down payment 96
  • 97. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 12 Most Common, Conforming Loan PRODUCTS Fixed Rate Mortgages (FRM) Characteristics of a FRM Situations that effect a FRM payment Comparison of types of loan scenarios Percentage of down payment to lessen monthly payment FRM’s with escrow 97
  • 98. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 12 Most Common, Conforming Loan PRODUCTS Adjustable Rate Mortgages (ARMs) Facts on ARM loans Examples of ARM loans Hybrid ARMs Timeline for notifying customer of rate change 98
  • 99. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 13 Non Traditional Mortgage Loans Definition: According to the SAFE Mortgage Licensing Act of 2008, the term “nontraditional mortgage product” means any mortgage product other than a 30-year fixed rate loan. 99
  • 100. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 13: Statement on Subprime Generally subprime borrowers will display a range of credit risk characteristics that may include one or more of the following: 1. Two or more 30-day delinquencies in the last 12 months, or one or more 60-day delinquencies in the last 24 months 2. Judgment, foreclosure, repossession, or charge-off in the prior 24 months 3. Bankruptcy in the last 5 years 4. Relatively high default probability as evidenced by, for example, a credit bureau risk score (FICO) of 660 or below 5. Debt service-to-income ratio of 50% or greater 100
  • 101. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 13 Mod 13.3 CSBS/AARMR Guidance on Non-Traditional Lending CSBS = Conference of State Bank Supervisors AARMR = American Association of Residential Mortgage Regulators Oct 2006 those^ banking regulators published guidelines on non-traditional lending. 101
  • 102. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 13 CSBS/AARMR Guidance  Ability to repay  Watch for payment shock  Assure borrower understands the loan terms  Avoid misleading claims…payment, rates, refi-out  Risk management strategies 102
  • 103. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 14 DFA: HPMLs The Dodd Frank Act (full name: Dodd Frank Wall Street Reform Act) was passed in 2010 and brought the guidelines we just reviewed, into federal law. Instead of subprime loans, we use new language to describe subprime without saying that word: Non-prime, Non-traditional, non-conforming, and now: Higher Priced Mortgage Loans (HPMLs) 103
  • 104. Jillayne Schlicke CE Forward, Inc. DBA NAMF Qualified Mortgages ~ Regular periodic payments that are substantially equal ~ Loan term does not exceed 30 years ~ Total points and fees do not exceed 3% for loans over $100,000 ~ Total debt to income ratio does not exceed 43% ~ If loan conforms to guidelines set forth by Fannie & Freddie (aka Conventional,) FHA, VA, USDA Loan is automatically a QM Until 2021. ~ Ability to Repay: 5 Years 104
  • 105. Jillayne Schlicke CE Forward, Inc. DBA NAMF Qualified Mortgages ~ Regular periodic payments that are substantially equal ~ Loan term does not exceed 30 years ~ Total points and fees do not exceed 3% for loans over $100,000 ~ Total debt to income ratio does not exceed 43% ~ If loan conforms to guidelines set forth by Fannie & Freddie (aka Conventional,) FHA, VA, USDA Loan is automatically a QM Until Oct of 2022 ~ Ability to Repay: 5 Years 105 Higher Priced Mortgage Loans (HPMLs) Loans formerly known as Subprime Non-Traditional = Any loan that’s not a 30 year fixed rate mortgage Non-prime Non-QM A loan is an HPML When: Annual Percentage Rate (APR) is: 1.5 or more points higher on a fixed rate mortgage OR 2.5 or more points higher on a non- conforming mortgage (jumbo) OR 3.5 or more points higher for a subordinate lien When compared with the Average Prime Offering Rate (APOR) Ability to Repay: 7 years
  • 106. Jillayne Schlicke CE Forward, Inc. DBA NAMF Average Prime Offering Rate (APOR) sample test question What are the trigger thresholds under the Dodd Frank Act for Higher Priced Mortgage Loans? 1) The law superseded by the new subprime loans is a ridiculous law with a funny name 2) 1.5 percentage points above the average prime offering rate (APOR) 3) 2.5 percentage points above the average prime offering rate (APOR) 4) There are no trigger thresholds. 106
  • 107. Jillayne Schlicke CE Forward, Inc. DBA NAMF 107 Section 15 Higher Priced Mortgage Loan Products Conforming Jumbo Loans Non-conforming Jumbo Loans Interest-only Mortgages Balloon Payment Mortgages Construction Loans Hard Money Private Money Option ARMs Reverse Mortgages (HECM) Suitability
  • 108. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 15 Module 15.9 Suitability Break into small groups and come up with at least 2 loan program suggestions for the borrower scenarios in the course book. 108
  • 109. 20 Hour SAFE Comprehensive Pre-Licensing and Exam Prep Jillayne Schlicke DAY 2
  • 110. Jillayne Schlicke CE Forward, Inc. DBA NAMF Agenda Washington State Law Uniform State Law SAFE Act Quiz Case Study Ethics Consumer Protection Fair Housing Fraud Anti-Money Laundering and Suspicious Activity Reports (SARS) 110
  • 111. Jillayne Schlicke CE Forward, Inc. DBA NAMF 111 People on the left side of the bell curve will never understand anything we give them. They don’t know how to balance their checkbook. Simple interest? Compound Interest? Everything we do is WAY over their head. People on the right side of the bell curve know more than we know about the mortgage machine, rates, fees, your compensation, when is the right time to buy or sell, etc. Laws and rules are written for people whose understanding of mortgage lending is in the MIDDLE of the bell curve. Once you are licensed, you will know MORE than the average random person in the middle of the bell curve. We are not allowed to use our advanced knowledge of the mortgage machine to de-fraud people
  • 112. Jillayne Schlicke CE Forward, Inc. DBA NAMF 112 Rate Points Consumer’s Situation Consumer Might Decide to: What This Means to the Consumer 4.00% 1.0% Lender Credit Consumer does not want to pay a lot of cash up front and can afford a slightly higher monthly payment. Pay a slightly higher payment each month. Pay a higher interest rate over the life of the loan and not have to come up with any money up front to cover closing costs. Consumer chooses a higher rate of 4.00%, in exchange for $2,000. To cover closing costs. Today: Consumer receives $2,000. Over the life of the loan: Consumer pays slightly more each month. 3.5% 0 Par Consumer is satisfied with the rate and chooses not to pay discount points to buy a lower rate OR choose a higher rate to cover closing costs with a lender credit. Pay zero points The par rate does not require consumer to pay points. The par rate does not provide a lender credit. 3.00% 1.0% Discount Points Consumer plans to keep the mortgage for a long time. Consumer can afford to pay more cash at closing. Consumer wants a slightly lower payment Pay discount points and select a lower rate. This will save the consumer money over the life of the loan. Consumer might agree to pay $2,000. more in closing costs in exchange for a lower rate of 3.005%. Now: Pay $2,000. Over the life of the loan: Pay slightly less each month
  • 113. Jillayne Schlicke CE Forward, Inc. DBA NAMF 113 Section 16 SAFE Mortgage Licensing Act The SAFE Act of 2008 SAFE = Secure and Fair Enforcement Act Passed in order to increase uniformity, reduce regulatory burden, enhance consumer protection, and reduce fraud. Establishes the Nationwide Mortgage Licensing System and Registry. Title V SAFE Mortgage Licensing Act of 2008 http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20 Document%20Library/SAFE-Act.pdf
  • 114. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 16 SAFE ACT 1. Provides uniform license applications and reporting requirements for State-licensed loan originators. 2. Provides a comprehensive licensing and supervisory database. 3. Aggregates and improves the flow of information to and between regulators. 4. Provides increased accountability and tracking of loan originators. 5. Streamlines the licensing process and reduces the regulatory burden. 6. Enhances consumer protections and supports anti-fraud measures. 7. Provides consumers with easily accessible information, offered at no charge, utilizing electronic media, including the Internet, regarding the employment history of, and publicly adjudicated disciplinary and enforcement actions against, loan originators. 8. Establishes a means by which residential mortgage loan originators would, to the greatest extent possible, be required to act in the best interests of the consumer. 114
  • 115. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 16 SAFE ACT State Examination Authority. The State may: 1. Review, investigate and examine any loan originator, as often as necessary 2. Examine books and records 3. Retain authority 4. No person may destroy records The State has broad enforcement authority 115
  • 116. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 16 SAFE Act State Exam Authority Definitions Licensing or registration Supervised processors and underwriters Independent contractors 116
  • 117. Jillayne Schlicke CE Forward, Inc. DBA NAMF 117 Section 16 SAFE Act “Registered Loan Originator” An employee of: a depository institution; a subsidiary that is: owned and controlled by a depository institution AND regulated by a federal banking agency OR An institution regulated by the Farm Credit Admin Title V SAFE Mortgage Licensing Act of 2008 http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20 Document%20Library/SAFE-Act.pdf
  • 118. Jillayne Schlicke CE Forward, Inc. DBA NAMF 118 Section 16 SAFE Act State or Federally Chartered Depository Banks: Bank LOs are exempt from testing and education. Bank LOs are NOT exempt from “registering.” Register with the Nationwide Mortgage Licensing System (NMLS) and will be given a unique identifier. “Registered” LOs Title V SAFE Mortgage Licensing Act of 2008 http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20 Document%20Library/SAFE-Act.pdf
  • 119. Jillayne Schlicke CE Forward, Inc. DBA NAMF 119 Section 16 SAFE Act Issuance of a License Never revoked No felony last 7 years No felony at any time re fraud, dishonesty, breach of trust, money laundering Financial responsibility Pre-licensing education Written test Net worth or surety bond Title V SAFE Mortgage Licensing Act of 2008 http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20 Document%20Library/SAFE-Act.pdf
  • 120. Jillayne Schlicke CE Forward, Inc. DBA NAMF 120 Section 16 SAFE Act LO exam: 75% to pass Can retake 3 X at 30 day intervals If fail 3 X, must wait 6 months 5 year lapse in license: must retake the test Title V SAFE Mortgage Licensing Act of 2008 http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20 Document%20Library/SAFE-Act.pdf
  • 121. Jillayne Schlicke CE Forward, Inc. DBA NAMF 121 Section 16 SAFE Act Continuing Ed 3 hours Federal Law 2 hours Ethics, Consumer Protection, Fraud, Fair Housing 2 hours Non Traditional Lending 1 hour Undefined No carry-overs Can’t take the same class each year. Title V SAFE Mortgage Licensing Act of 2008 http://mortgage.nationwidelicensingsystem.org/SAFE/NMLS%20 Document%20Library/SAFE-Act.pdf
  • 122. Jillayne Schlicke CE Forward, Inc. DBA NAMF 122 Section 16 Model State Law Module 16.6 Definitions Module 16.7 Exemptions Module 16.8 Issuance of License Module 16.9 Pre-Licensing of LOs Module 16.10 Licensing Renewals Module 16.11 Enforcement Authority Module 16.12 Investigations & Exam Module 16.13 Prohibited Practices Module 16.14 Unique Identifier Module 16.15 Initial Registration Module 16.16 Records Retention
  • 123. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 16 SAFE Act/Uniform State Content Take the SAFE Act/Model State Law Quiz 123
  • 124. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 17 Ethics 1) What is ethics? 2) Who do you admire, living or dead? Why do you admire that person? 3) Have you ever faced an ethical dilemma in business? How did you solve it? 124
  • 125. Jillayne Schlicke CE Forward, Inc. DBA NAMF 125 Aristotle Kant J.S. Mill Respect honesty (promotes autonomy) Loyalty Responsibility Integrity Beneficence Non-maleficence Compassion Justice 384 BC-322 BC Duty-based ethics If we have a duty to do something, we ought do it. What I want for myself, I must also want for the other. 1724-1804 Utilitarianism Maximize good consequences for the most number of people and also minimize bad consequences for the most number of people 1806-1873
  • 126. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 17 Ethics Ethics When there’s no clear statement in the law telling us what to do. “Ought, should.” Law Minimum moral standard “Have to” 126
  • 127. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 17 Ethics Different sources of moral authority Religion We can’t use religion to solve ethical dilemmas when holding a professional role because there are thousands of different religions in the world. Which one would we use? Intuition Intuition can sometimes steer us in the wrong direction Emotion “If I can’t sleep at night it’s not ethical.” If the only reason we’re choosing to do/not do something is out of fear, that’s a pretty low standard of motivation 127
  • 128. Jillayne Schlicke CE Forward, Inc. DBA NAMF 128 Section 17 Ethics Moral Development The intrinsic worth, value and dignity of all human persons. Some laws might not be moral Law , society’s rules The good, norms, roles, shared values Practical agreements Morality comes from external sources 22+ 16 to 22 12 to 16 6 to 12 3 to 5 0 to 2
  • 129. Jillayne Schlicke CE Forward, Inc. DBA NAMF What is ethics? Who do you admire? Compassion Empathy Beneficence To to good Non-maleficence to avoid harm 129 Honesty Respect for persons Integrity consistent commitment to a set of values Trust…loyalty Responsibility Responsive to a set of job duties
  • 130. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 17 Ethics Different sources of moral authority Written codes of ethics There is no source of moral authority over LOs other than the law. What written codes of ethics that do exist are voluntary and not mandatory. The written codes of ethics that exist are weak, vague, have no sanctions for violations and in most cases, just simply re- state federal law. Philosophical ethics Moral philosophical ethical theories can take the place of a mandatory code of ethics until one is written. 130
  • 131. Jillayne Schlicke CE Forward, Inc. DBA NAMF 131 Aristotle Kant J.S. Mill Respect honesty (promotes autonomy) Loyalty Responsibility Integrity Beneficence Non-maleficence Compassion Justice 384 BC-322 BC Duty-based ethics If we have a duty to do something, we ought do it. What I want for myself, I must also want for the other. 1724-1804 Utilitarianism Maximize good consequences for the most number of people and also minimize bad consequences for the most number of people 1806-1873
  • 132. Jillayne Schlicke CE Forward, Inc. DBA NAMF 132 Are Loan Originators “Professionals?” Specialized knowledge Formal, pre-licensing education Mandatory continuing education Test Licensing Fiduciary Duties (Reminder: The SAFE Act contains a requirement to act in the best interests of the consumer.) Code of ethics with sanctions for violations ^This is not yet in place, so LOs are classified as “an emerging profession.”
  • 133. Jillayne Schlicke CE Forward, Inc. DBA NAMF 133 Fiduciary Duties Come from Agency Law Agency: Consent by one person (principal) that the other (agent) act on his or her behalf. Agency can be created by oral or written agreement OR it may be implied through conduct. “I can get you the best loan” “I can get you the best rate” Section 17 Ethics
  • 134. Jillayne Schlicke CE Forward, Inc. DBA NAMF 134 Duty of Loyalty Duty of Care What Fiduciary does will, in good faith, advance the interests of the client and not the Fiduciary’s personal interests Act in good faith Reasonable person test Informed Section 17 Ethics
  • 135. Jillayne Schlicke CE Forward, Inc. DBA NAMF 135 Manipulation Coercion Completely Controlled Influences Completely Non-Controlled Influences Persuasion Substantially Not Controlling Substantially Controlling Section 17 Ethics
  • 136. Jillayne Schlicke CE Forward, Inc. DBA NAMF 136 Section 17 Ethics Fiduciary Duties May Include… 1. Disclose all loan information to the borrower 2. Act in good faith and deal fairly 3. Avoiding secret fees or undisclosed fee splitting 4. No self dealing
  • 137. Jillayne Schlicke CE Forward, Inc. DBA NAMF 137 Fiduciary Duties are Higher When… LO has higher level of knowledge, experience, skills Client has limited knowledge Client is relying exclusively on you Greater the imbalance the higher the duty Section 17 Ethics
  • 138. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 17 Ethics: A Methodology 1. Define the problem 2. Collect facts 3. Reframe 4. Is this a legal issue? 5. Are you a manager? 6. Are you a partner? 7. Formal policies at your company? 138 8. Professional Code of Ethics? 9. Identify values 10. Consider all choices 11. Good reasons for and against each choice 12. Decide 13. Act 14. Reflect
  • 139. Jillayne Schlicke CE Forward, Inc. DBA NAMF 139 Are Loan Originators “Professionals?” Specialized knowledge Formal, pre-licensing education Mandatory continuing education Test Licensing Fiduciary Duties (Reminder: The SAFE Act contains a requirement to act in the best interests of the consumer.) Code of ethics with sanctions for violations ^This is not yet in place, so LOs are classified as “an emerging profession.”
  • 140. Jillayne Schlicke CE Forward, Inc. DBA NAMF Strategy for any question on the test containing the word, “ETHICS” Regulators do not regulate ethics, they regulate law. It is the job of an industry to self-regulate the ethical conduct of its members. Our regulators see “ethics” through a legal lens: consumer protection, fraud, fair housing Ask yourself: What is in the best interest of my client? 140
  • 141. Jillayne Schlicke CE Forward, Inc. DBA NAMF Sample Ethics Question  Q: An appraiser approaches you with a deal to give you the values you need in exchange for referrals of your next 10 appraisals. a. This is unethical b. This is allowed under certain circumstances c. This is only allowed with a special agreement fee worksheet approved by DFI d. This conduct could be allowed but only if the appraisal company was owned by the mortgage company 141
  • 142. Jillayne Schlicke CE Forward, Inc. DBA NAMF Sample Ethics Question  A LO discovers that his/her co-worker is signing client documents for the client. The LO asks his/her co-worker about this practice, and the co- worker answers, “my customer gave me permission to sign her name on her behalf.” a. This is unethical b. It’s possible that this could be allowed c. Federal law “signatures are cool” allows this d. This practice is normal 142
  • 143. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 18 Consumer Protection Case Study Carnell v. KMC Funding Read the case. Break into small groups and discuss the case with members of your small group. Elect a group leader and share your answers with the rest of the class. 143
  • 144. Jillayne Schlicke CE Forward, Inc. DBA NAMF 144 1968 Civil Rights Act 1968 Fair Housing Act ~ Protected Classes: Race Color Religion (Creed) Sex LGBTQ added in 2021 by executive order. National Origin Familial Status Disability Section 19 Fair Housing Intent v. Effect Realtors and lenders have great power to affect neighborhoods Fair Housing/Fair Lending http://www.hud.gov/offices/fheo/lending/index.cfm
  • 145. Jillayne Schlicke CE Forward, Inc. DBA NAMF Intent v. Effect It doesn’t matter what our good intentions are. The only thing that matters is the effect, or the result of our actions. If we treat people differently based on nothing but their protected class, we have violated Fair Housing. Disparate Impact 145
  • 146. Jillayne Schlicke CE Forward, Inc. DBA NAMF Additional protected classes in WA State Sexual orientation Gender identity Honorably discharged military Veteran The use of a service animal Retaliation against a whistleblower 146
  • 147. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 19 Redlining Denying or increasing the cost of services to residents of a racially specific geographical area Steering Guiding prospective homebuyers to or away from a specific neighborhood based on his/her race 147 Blockbusting Encouraging white property owners to sell their homes at a loss by fraudulently implying that racial or religious minorities were moving into their neighborhood Fair Housing/Fair Lending http://www.hud.gov/offices/fheo/lending/index.cfm
  • 148. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 19 Module 19.4 Fair Lending In Mortgage Lending: No one may take any of the following actions based on race, color, national origin, religion, sex, familial status or handicap (disability): Refuse to make a mortgage loan Refuse to provide information regarding loans Impose different terms or conditions on a loan, such as different interest rates, points, or fees Discriminate in appraising property Refuse to purchase a loan or Set different terms or conditions for purchasing a loan. Fair Housing/Fair Lending http://www.hud.gov/offices/fheo/lending/index.cfm 148
  • 149. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 19 Module 19.7 Fair Housing Thought Questions Should we make a woman on maternity leave return to work before counting her income when qualifying for a loan? Should we make long term disabled applicants provide additional documentation proving that they will stay disabled? 149 Fair Housing/Fair Lending http://www.hud.gov/offices/fheo/lending/index.cfm
  • 150. Jillayne Schlicke CE Forward, Inc. DBA NAMF Sample Test Question: Verification of Employment confirms employment of your applicant and probability of employment is “excellent.” In the comments box: “on maternity leave.” 1. Lender should close the loan. 2. Lender should not originate loans to new parents. 3. Lender should originate the loan only after asking female applicant to provide additional documentation and detailed motivational letter regarding her intent to return to work. 4. Lender should follow some law you’ve never heard of. 150
  • 151. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 19 Module 19.7 Fair Housing Thought Questions A mortgage company creates a policy that they will not lend money on manufactured housing. Could this create a Fair Housing violation? 151 Fair Housing/Fair Lending http://www.hud.gov/offices/fheo/lending/index.cfm
  • 152. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 19 Module 19.8 Disparate Impact: Intent v. effect Under Fair Housing, the lender’s good intentions of lending on good quality collateral or our intent to make sure that people have the ability to repay do not matter. Instead, the effect of our lending decisions is what matters. If the effect of our lending decisions treats people differently like higher rates, fees, more documentation, or creates more segregated neighborhoods, we have violated Fair Housing. 152 Fair Housing/Fair Lending http://www.hud.gov/offices/fheo/lending/index.cfm
  • 153. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 19 Module 19.5: Redlining Fair Lending Case Study: U.S. and CFPB v. Bancorp South 153
  • 154. Jillayne Schlicke CE Forward, Inc. DBA NAMF 154
  • 155. Jillayne Schlicke CE Forward, Inc. DBA NAMF 155
  • 156. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 20 Mortgage Fraud Fraud for Housing, or fraud for property, is perpetrated by borrowers and/or one or more industry professionals when they misrepresent information on the loan application. This type of fraud does not usually result in significant losses to a financial institution. 156 FBI US Department of Justice Financial Crimes Report to the Public 2010-2011 http://www.fbi.gov/stats-services/publications/financial-crimes-report-2010-2011
  • 157. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 20 Mortgage Fraud Fraud for profit consists of systematic transactions by industry professionals who are attempting to steal a significant amount of the funds associated with one or more mortgage transactions. This type of fraud usually involves multiple parties in various disciplines within the mortgage industry, such as mortgage originators, appraisers, real estate brokers, escrow closers, builders and title companies. Fraud for profit usually results in significant—if not catastrophic—losses to financial entities involved in mortgage loan transactions and it is of major concern to the mortgage industry 157 FBI US Department of Justice Financial Crimes Report to the Public 2010-2011 http://www.fbi.gov/stats-services/publications/financial-crimes-report-2010-2011
  • 158. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 20 Module 20.2 General Red Flags of Mortgage Fraud Red flags are inconsistencies in the information presented in an application or a loan file that would cause someone to take a second look or be suspicious. Red flags are potential indicators that should be explored; but they do not necessarily mean that fraud occurred. Lenders can help protect themselves if they can identify red flags and learn to sense when something “isn’t quite right.” 158
  • 159. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 20 Module 20.3 Loan Application Red Flags Occupancy Borrower and co-borrower scenarios Employment and income fraud Information supplied by borrowers Undisclosed income Assets, bank activity, deposits Liabilities Credit Down payment fraud: gifts, silent second 159
  • 160. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 20 Mortgage Fraud Appraisal Fraud Fraud at settlement/escrow Cyber crime Red flags on the purchase and sales agreement Change of info from the initial loan app 160
  • 161. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 20 Mortgage Fraud Module 20.10 Requirement to Report Mortgage Fraud All employees who work for a depository bank, non-bank lender, or mortgage broker are required to promptly report possible mortgage fraud to their supervisor. 161
  • 162. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 20 Mortgage Fraud Module 20.10 Mortgage Fraud is investigated by the Federal Bureau of Investigation and is punishable by up to 30 years in federal prison or $1,000,000 fine, or both. It is illegal for a person to make any false statement regarding income, assets, debt, or matters of identification, or to willfully overvalue any land or property, in a loan and credit application for the purpose of influencing in any way the action of a financial institution. 162
  • 163. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 21 Bank Secrecy Act of 1970 Nixon U.S. Patriot Act of 2001 W. SARS: Suspicious Activity Reports AML: Anti Money Laundering 163 Financial Crimes Enforcement Network Anti-Money Laundering Program and Suspicious Activity Report Filing Requirements for Residential Mortgage Lenders and Originators AGENCY: Financial Crimes Enforcement Network (‘‘FinCEN’’), Treasury. ACTION: Final rule. Federal Register / Vol. 77, No. 30 / Tuesday, February 14, 2012 / Rules and Regulations Page 8159 Subpart C—Reports Required To Be Made by Loan or Finance Companies http://www.gpo.gov/fdsys/pkg/FR-2012-02-14/pdf/2012-3074.pdf
  • 164. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 22 Practice Quiz Take the practice quiz: Ethics, Consumer Protection, Fraud, Fair Housing, SARS/AML 164
  • 165. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 22 Reflect on everything learned today and yesterday. …any final questions? Preview of tomorrow. 165
  • 166. 20 Hour SAFE Comprehensive Pre-Licensing and Exam Prep Jillayne Schlicke DAY 3
  • 167. Jillayne Schlicke CE Forward, Inc. DBA NAMF CFPB = Consumer Financial Protection Bureau All federal laws governing mortgage lending are now regulated by the CFPB with one exception: Fair Housing stays with HUD Each state also regulates it’s own state laws governing mortgage lending. State laws can be tougher than federal law. 167
  • 168. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 23 CFPB Core Functions Rooting out unfair, deceptive, or abusive acts or practices by writing rules, supervising companies, and enforcing the law Enforcing laws that outlaw discrimination in consumer finance Taking consumer complaints Enhancing financial education Researching the consumer experience of using financial products Monitoring financial markets for new risks to consumers 168
  • 169. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 23 CFPB Consumer Complaints 1. Complaint submitted 2. Review and route 3. Company responds 4. Complaint published 5. Consumer review Consumer complaint database: https://data.consumerfinance.gov/dataset/Consumer- Complaints/s6ew-h6mp 169
  • 170. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 23 HUD Programs offered by HUD Community Planning and Development Federal Housing Administration (FHA) Public and Indian Housing Fair Housing Policy Development Government National Mortgage Association (Ginnie Mae) Office of Housing Counseling Lead Hazard Control and Healthy Homes 170
  • 171. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 23 HUD HUD oversees the following entities: Banks, Lenders, Mortgage Brokers Real Estate Brokers Appraisers Housing Counselors Housing Inspectors Landlords Non-Profits HUD Grant Recipients 171
  • 172. Jillayne Schlicke CE Forward, Inc. DBA NAMF The Main Fed Law Acronyms TILA Truth in Lending Act MDIA Mortgage Disclosure Improvement Act RESPA Real Estate Settlement And Procedures Act TRID TILA/RESPA Integrated Disclosure ECOA Equal Credit Opportunity Act SAFE Secure and Fair Enforcement Act 172
  • 173. Jillayne Schlicke CE Forward, Inc. DBA NAMF Patterns What was going on in the late 1960s and 1970s in the United States? The Economy? The American Family? If you understand WHY a law was passed, you will be able to isolate and rule out the two, dead-wrong answers. Two answers will remain. One will be a little bit better than the other. 173
  • 174. Jillayne Schlicke CE Forward, Inc. DBA NAMF Federal Laws The laws shown in blue were passed during the late 1960s/early 1970s and notice that we are currently living through another wave of consumer protection laws directed at the mortgage lending industry. Truth in Lending Act 2009 Changes to TILA = MDIA 2011 FRB Rule on LO Comp R.E. Settlement and Proc. Act 2010 Dodd Frank Act 2015 TRID Equal Credit Opportunity Act Fair Credit Reporting Act Fair Housing Other Fed Laws 2008 SAFE Act 2010 Dodd Frank Act 2015 TILA/RESPA Integrated Discl. 174
  • 175. Jillayne Schlicke CE Forward, Inc. DBA NAMF 175 To promote informed use of credit. Requires disclosure of Annual Percentage Rate (APR) Gives consumers the right to cancel some transactions (owner occupied refi) Imposes cost limits on home equity loans Regulates variable rate loans CHARM Booklet required on ARM loans continued Section 24 Module 24.2 TILA Core Concepts Truth in Lending Act http://www.fdic.gov/regulations/laws/rules/6500-200.html
  • 176. Jillayne Schlicke CE Forward, Inc. DBA NAMF 176 Delineates and prohibits unfair and deceptive mortgage lending practices At the beginning of the transaction: Consumers receive disclosures 3 days from date on the loan application. At the end of the transaction: Consumers receive their final disclosures 3 days prior to consummation (signing.) Section 24 Module 24.2 TILA Core Concepts continued Truth in Lending Act http://www.fdic.gov/regulations/laws/rules/6500-200.html
  • 177. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 24 Module 24.3 TILA Loans Covered by TILA and Regulation Z 1. Purpose of credit is for personal, family, or household use, and; 2. Credit is extended to a consumer, and; 3. Credit is extended by a creditor (a lender,) and; 4. Credit or loan is secured by real property (dwelling.) 177
  • 178. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 24 Module 24.3 Definitions Business Day Business day means a day on which the creditor's offices are open to the public for carrying on substantially all of its business functions. Generally, all calendar days except Sundays and the legal public holidays specified in 5 U.S.C. 6103(a), such as New Year's Day, the Birthday of Martin Luther King, Jr., Washington's Birthday, Memorial Day, Independence Day, Labor Day, Columbus Day, Veterans Day, Thanksgiving Day, and Christmas 178
  • 179. Jillayne Schlicke CE Forward, Inc. DBA NAMF TILA requires us to quote APR when quoting a note rate A. Actually available terms B. Clear and conspicuous standard C. Finance charge advertising rules D. Additional disclosures required E. Catalog, multi-page, electronic ads F. Disclosures G. TV and radio ads H. Taxes and insurance I. Prohibited practices 179
  • 180. Jillayne Schlicke CE Forward, Inc. DBA NAMF 180 Annual Percentage Rate/APR The cost of the loan expressed in the form of a rate that has been annualized over one year. APR was designed as a shopping tool for consumers. The APR calculation contains the following: Loan amount, closing costs, note rate, loan term. APR is always quoted when we quote a note rate. We are allowed to use a sample APR for advertising. Tolerances Section 24 Truth in Lending Act Truth in Lending Act http://www.fdic.gov/regulations/laws/rules/6500-200.html
  • 181. Jillayne Schlicke CE Forward, Inc. DBA NAMF 181 APR Tolerances…Can we make a mistake and still be in compliance? Yes:  Example: |________|_______ APR 7.75_______|________| .25 .125 .125 .25 ARM FRM FRM ARM ARM = Adjustable Rate Mortgage FRM = Fixed Rate Mortgage Truth in Lending Act http://www.fdic.gov/regulations/laws/rules/6500-200.html
  • 182. Jillayne Schlicke CE Forward, Inc. DBA NAMF Common consumer question: What finance charges (also called settlement costs or closing costs) are included when calculating APR? At a typical mortgage company, software systems are already programmed to do this for LOs. However, customers ask questions about the TILA disclosure forms and regulators expect licensees to know how to answer basic questions about the information contained in the TILA disclosure form. 182 Section 24 Truth in Lending Act A closer look at APR (Annual Percentage Rate) Truth in Lending Act http://www.fdic.gov/regulations/laws/rules/6500-200.html
  • 183. Jillayne Schlicke CE Forward, Inc. DBA NAMF Included Prepaid interest Mortgage insurance premiums Wire transfer fees Recording fees Loan origination fee Underwriting fee, processing fee, admin Mortgage broker fee Escrow fee (also called settlement or closing) Borrower paid discount points Flood Ins. premiums Pest inspection (VA only when prop is located in mod to high probability of area of pest infestation and lender is paying for it. 183 Hazard Insurance (IF obtained from a neutral company) Seller paid discount points Document prep fee Title insurance Notary fee Appraisal Credit report Impounds for taxes & ins Flood Hazard Check Excluded http://www.fdic.gov/regulations/laws/rules/6500-200.html
  • 184. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 24 Module 24.3 Definitions Finance Charge The finance charge is a measure of the cost of consumer credit represented in dollars and cents. Along with APR disclosures, the disclosure of the finance charge is central to the uniform credit cost disclosure envisioned by the TILA. The finance charge does not include any charge of a type payable in a comparable cash transaction. 184
  • 185. Jillayne Schlicke CE Forward, Inc. DBA NAMF 185 Section 24 Truth in Lending Act A closer look at APR (Annual Percentage Rate) Tip: How to remember which costs are included/excluded when calculating APR: Costs included These are costs that benefit the lender or costs that the lender requires in order to obtain a loan. Costs excluded These are costs that are paid to and benefit third parties other than the lender. Truth in Lending Act http://www.fdic.gov/regulations/laws/rules/6500-200.html
  • 186. Jillayne Schlicke CE Forward, Inc. DBA NAMF Sample APR question If seller contributes 1% to buy down the interest rate and the buyer also contributes 1% to buy down the interest rate, what is included in the APR calculation? A. buyer’s 1% B. seller’s 1% C. neither D. both the buyer and seller’s 1% for a total of 2% discount points included in the APR Calc. 186
  • 187. Jillayne Schlicke CE Forward, Inc. DBA NAMF Sample APR question: What items are included when we calculating APR? a) loan amount, closing costs b) term, note rate, loan amount, appraisal c) Prepaids, term, note rate, loan amount d) term, note rate, loan amount 187
  • 188. Jillayne Schlicke CE Forward, Inc. DBA NAMF Sample APR Question: What is the APR for the following loan? Closing costs: $2,000 Loan term: 360 months Note rate: 5.0% Loan amount: $200,000 a) 5.0 b) 4.9 c) 5.08 d) 6.98 188
  • 189. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 24 MDIA Consumer fees Re-disclosure Timing Seven business day waiting period Waiver of waiting period Consumer notice Imposition of fees Interactions with appraisers 189
  • 190. Jillayne Schlicke CE Forward, Inc. DBA NAMF Federal Laws The laws shown in blue were passed during the late 1960s/early 1970s and notice that we are currently living through another wave of consumer protection laws directed at the mortgage lending industry. Truth in Lending Act 2009 Changes to TILA = MDIA 2011 FRB Rule on LO Comp R.E. Settlement and Proc. Act 2010 Dodd Frank Act 2015 TRID Equal Credit Opportunity Act Fair Credit Reporting Act Fair Housing Other Fed Laws 2008 SAFE Act 2010 Dodd Frank Act 2015 TILA/RESPA Integrated Discl. 190
  • 191. Jillayne Schlicke CE Forward, Inc. DBA NAMF Sample MDIA Question: is this ad deceptive? Call us! Acme Mortgage for your 30 year loan! 1.50% 1.95% APR a) Yes b) No c) This is a violation of the TILA/MDIA advertising rules requiring loan terms be clear and conspicuous. d) It may or may not be deceptive depending on the day of the week that ends in the word “day” 191
  • 192. Jillayne Schlicke CE Forward, Inc. DBA NAMF 192 On an owner occupied refinance, the borrower has 3 days after signing the final loan documents to cancel and receive a full refund from the lender. Lenders must refund any money collected for third party services, even if spent. For TILA RESCISSION purposes, business days include Saturday (full 24 hours.) Can the 3 day right of rescission ever be waived? Section 24 Module 24.8 Truth in Lending Act Rescission Truth in Lending Act http://www.fdic.gov/regulations/laws/rules/6500-200.html
  • 193. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 24 TILA Module 24.8 Case Study: What is the first business day on which funds may be disbursed if: Signing date: Thurs, May 2 1st bus. day: Fri, May 3 2nd bus. day: Sat, May 4 Sun, May 5 3rd bus. day: Mon, May 6 The loan can fund on Tuesday May 7th 193 Truth in Lending Act http://www.fdic.gov/regulations/laws/rules/6500-200.html
  • 194. Jillayne Schlicke CE Forward, Inc. DBA NAMF How many copies of the rescission notice are printed? 3 1---stays in the escrow closer’s file 2 are provided (not mailed) to the borrower If the borrower rescinds, one is signed and mailed to escrow, and the other the borrower keeps 194 Section 24 TILA Module 24.8
  • 195. Jillayne Schlicke CE Forward, Inc. DBA NAMF HOEPA High Cost Mortgage Loans H.O.E.P.A. = Home Ownership and Equity Protection Act Revised HOEPA Coverage Tests: APR exceeds APOR by more than 6.5% for first lien mortgages, or; APR exceeds APOR by 8.5% for first lien mortgages under $50,000. or; APR exceeds APOR by more than 8.5% for junior or subordinate liens. 195
  • 196. Jillayne Schlicke CE Forward, Inc. DBA NAMF Qualified Mortgages Regular periodic payments that are substantially equal ~ Loan term does not exceed 30 years ~ Total points and fees do not exceed 3% for loans over $100,000 ~ Total debt to income ratio does not exceed 43% ~ If loan conforms to guidelines set forth by Fannie & Freddie (aka Conventional,) FHA, VA, USDA Loan is automatically a QM Until 2021. Ability to Repay: 5 Years 196 Higher PRICED Mortgage Loans HPMLs Loans formerly known as Subprime Non-Traditional = Any loan that’s not a 30 year fixed rate mortgage Non-prime Non-QM A loan is an HPML When: Annual Percentage Rate (APR) is: 1.5 or more points higher on a fixed rate mortgage OR 2.5 or more points on a non- conforming loan OR 3.5 or more points higher for a subordinate lien When compared with the Average Prime Offering Rate (APOR) Ability to Repay: 7 Years High COST Mortgages ~ H.O.E.P.A. Home Owner Equity Protection Act Originally for second mortgages, also known as Home Equity Lines of Credit. These are VERY EXPENSIVE mortgages, with higher costs due to a higher risk. ~ Annual Percentage Rate (APR) exceeds Average Prime Offering Rate (APOR) by more than: ~ 6.5% for first lien mortgages OR 8.5% for first lien mortgages under $50,000. OR 8.5% for junior or subordinate liens. ~ Borrower must attend a counseling class
  • 197. Jillayne Schlicke CE Forward, Inc. DBA NAMF Fun Fact High-Cost loans are considered “Section 32 loans” 12 CFR 1026.32 Higher Priced loans are considered “Section 35 loans” 12 CFR 1026.35 …because these are the names of the sections within the Truth in Lending Act, that describe these loans. 197
  • 198. Jillayne Schlicke CE Forward, Inc. DBA NAMF HOEPA Thresholds for 2021 Effective January 1, 2021 for purposes of determining under § 1026.32(a)(1)(ii) the points-and-fees coverage test under HOEPA to which a transaction is subject, the total loan amount threshold is $22,052, and the adjusted points-and- fees dollar trigger under§ 1026.32(a)(1)(ii)(B) is $1,103. If the total loan amount for a transaction is $22,052 or more, and the points-and-fees amount exceeds 5 percent of the total loan amount, the transaction is a high-cost mortgage. ~ If the total loan amount for a transaction is less than $22,052, and the points-and-fees amount exceeds the lesser of the adjusted points-and-fees dollar trigger of $1,103 or 8 percent of the total loan amount, the transaction is a high- cost mortgage. 198
  • 199. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 24 Module 24.9 TILA Records Retention General Records Retention Lenders must retain TILA records on residential mortgage loans for three years. Other federal or state laws may require lenders to retain records for a longer period of time. Closing Disclosure Lenders must retain a copy of the Closing Disclosure for five years Loan Originator Compensation Lenders must retain records of loan originator compensation for 3 years unless another federal or state law requires maintaining LO compensation records for a longer time period. 199
  • 200. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 24 Module 24.10 HOEPA The following loans will be covered by HOEPA APR exceeds APOR by 6.5% for first lien mortgages, or 8.5% for a first lien mortgage if the dwelling is personal property and the transaction is under $50,000 The APR exceeds the applicable APOR by more than 8.5% for subordinate and junior liens Points and fees exceed 5% of the total transaction amount or, for loans less than $20,000 the lesser 8% of transaction amount or $1,000 (adjusted annually for inflation) 200
  • 201. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 24 Module 24.10 HOEPA A lender must provide a written list of HUD-approved, housing counseling agencies to all applicants for federally-related mortgages It must list the ten counseling agencies that are closest to the centroid of the zip code of the borrower’s current address, in descending order of proximity to the centroid. Lenders, should they choose can put in a more precise geographic marker like the borrower’s street address. Additionally, they can give the borrower the option of inputting a different location then the borrower’s current zip code, but they are not required to do so. The list must include the following text: “The counseling agencies on this list are approved by the U.S. Department of Housing and Urban Development 201
  • 202. Jillayne Schlicke CE Forward, Inc. DBA NAMF Qualified Mortgages Regular periodic payments that are substantially equal ~ Loan term does not exceed 30 years ~ Total points and fees do not exceed 3% for loans over $100,000 ~ Total debt to income ratio does not exceed 43% ~ If loan conforms to guidelines set forth by Fannie & Freddie (aka Conventional,) FHA, VA, USDA Loan is automatically a QM Until 2021. Ability to Repay: 5 Years 202 Higher PRICED Mortgage Loans HPMLs Loans formerly known as Subprime Non-Traditional = Any loan that’s not a 30 year fixed rate mortgage Non-prime Non-QM A loan is an HPML When: Annual Percentage Rate (APR) is: 1.5 or more points higher on a fixed rate mortgage OR 2.5 or more points on a non- conforming loan OR 3.5 or more points higher for a subordinate lien When compared with the Average Prime Offering Rate (APOR) Ability to Repay: 7 Years High COST Mortgages ~ H.O.E.P.A. Home Owner Equity Protection Act Originally for second mortgages, also known as Home Equity Lines of Credit. These are VERY EXPENSIVE mortgages, with higher costs due to a higher risk. ~ Annual Percentage Rate (APR) exceeds Average Prime Offering Rate (APOR) by more than: ~ 6.5% for first lien mortgages OR 8.5% for first lien mortgages under $50,000. OR 8.5% for junior or subordinate liens. ~ Borrower must attend a counseling class
  • 203. Jillayne Schlicke CE Forward, Inc. DBA NAMF Sample HOEPA question What is the APR trigger on a first lien mortgage under HOEPA? a) APR exceeds APOR by 6.5% b) APR exceeds APOR by 8.5% c) APOR is not a factor d) APR trigger rules are irrelevant on a first lien mortgage under the special provisional “APR Sucks” amendment to the HOEPA section of the Dodd Frank Act. 203
  • 204. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 24 Module 24.11 Truth In Lending Act Quiz 204
  • 205. Jillayne Schlicke CE Forward, Inc. DBA NAMF Federal Laws The laws shown in blue were passed during the late 1960s/early 1970s and notice that we are currently living through another wave of consumer protection laws directed at the mortgage lending industry. Truth in Lending Act 2009 Changes to TILA = MDIA 2011 FRB Rule on LO Comp R.E. Settlement and Proc. Act 2010 Dodd Frank Act 2015 TRID Equal Credit Opportunity Act Fair Credit Reporting Act Fair Housing Other Fed Laws 2008 SAFE Act 2010 Dodd Frank Act 2015 TILA/RESPA Integrated Discl. 205
  • 206. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 25 Federal Reserve Board (FRB) rule on Loan Originator Compensation 206 Module 25.1 Background FTC v. Golden Empire Mortgage Federal Reserve Regulation Z: Loan Originator Compensation and Steering 12 CFR 226 http://edocket.access.gpo.gov/2010/pdf/2010-22161.pdf
  • 207. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 25 Federal Reserve Board Rule on Loan Originator Compensation 207 Module 25.2 Three main prohibitions: P1: Compensation based on a transaction’s term or conditions. P2: Compensation by lender OR consumer but not both. P3: Prohibitions against steering. Federal Reserve Regulation Z: Loan Originator Compensation and Steering 12 CFR 226 http://edocket.access.gpo.gov/2010/pdf/2010-22161.pdf
  • 208. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 25 Federal Reserve Board Rule on Loan Originator Compensation 208 Module 25.2 Three main prohibitions: P1: Compensation based on a transaction’s term or conditions: > Payment based on transaction terms or conditions. > Compensation cannot go up or down based on the loan’s terms or conditions. > Minimum or max dollar amount of compensation may not vary with each loan. Federal Reserve Regulation Z: Loan Originator Compensation and Steering 12 CFR 226 http://edocket.access.gpo.gov/2010/pdf/2010-22161.pdf
  • 209. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 25 Federal Reserve Board Rule on Loan Originator Compensation 209 Module 25.2 Three main prohibitions: P2: Compensation by someone other than the consumer. If an LO will be compensated by the consumer, the LO may not also receive compensation from the lender funding the loan, or any other person connected with that transaction. Federal Reserve Regulation Z: Loan Originator Compensation and Steering 12 CFR 226 http://edocket.access.gpo.gov/2010/pdf/2010-22161.pdf
  • 210. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 25 Federal Reserve Board Rule on Loan Originator Compensation 210 Module 25.2 Three main prohibitions: P3: Prohibitions against steering. LOs may not steer a consumer to a loan only because the LO will be compensated at a higher rate by selling that product, unless the loan is in the best interest of the consumer. Federal Reserve Regulation Z: Loan Originator Compensation and Steering 12 CFR 226 http://edocket.access.gpo.gov/2010/pdf/2010-22161.pdf
  • 211. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 25 Module 25.5 Test your knowledge: Complete the LO Comp practice quiz questions. 211
  • 212. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 2 Module 2.0 Depository Bank Checking, savings CAN fund its own loans LOs are “registered” 212 Mortgage Broker No ck/svgs Does NOT fund its own loans Pure middleman. Like an “agent” For a fee, finds the mortgage money LOs are licensed. In some states, these LOs owe fiduciary duties to clients Non-Depository Lender Non-Bank Lender No ck/svgs CAN fund its own loans via lines of credit with banks LOs are licensed Consumer Loan Act
  • 213. Jillayne Schlicke CE Forward, Inc. DBA NAMF Federal Laws The laws shown in blue were passed during the late 1960s/early 1970s and notice that we are currently living through another wave of consumer protection laws directed at the mortgage lending industry. Truth in Lending Act 2009 Changes to TILA = MDIA 2011 FRB Rule on LO Comp R.E. Settlement and Proc. Act 2010 Dodd Frank Act 2015 TRID = TILA/RESPA Integrated Disclosure Rule Equal Credit Opportunity Act Fair Credit Reporting Act Fair Housing Other Fed Laws 2008 SAFE Act 213
  • 214. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 26 RESPA RESPA = Real Estate Settlement and Procedures Act Definition of “Settlement Services” RESPA defines “settlement” as any activity surrounding the application, approval, and closing of real estate transactions. 214
  • 215. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 26 RESPA Implemented by HUD as Regulation X, the original purpose of RESPA was to do the following: a) Eliminate kickbacks and referral fees; b) Provide more effective advance disclosure of settlement costs; c) Reduce the amounts buyers were required to place in escrow accounts (in loan servicing;) and d) Provide reform and modernization for local record keeping and land information. 215
  • 216. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 26 RESPA: Mortgage Brokers If the mortgage broker is the exclusive agent of the institution, either the institution or the broker must provide The Loan Estimate within three business days after the broker receives or prepares the application. When the broker is not the exclusive agent of the institution, the institution is not required to provide The Loan Estimate if the broker has already provided it. However, the funding lender must ascertain that The Loan Estimate has been delivered. 216
  • 217. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 26 RESPA RESPA is applicable to all federally related mortgage loans. Federally related mortgage loans are loans, including refinances, secured by a first or subordinate lien on residential real property upon which: A one- to four-family structure is located or is to be constructed using proceeds of the loan (including individual units of condominiums and cooperatives) or A manufactured home is located or is to be constructed using proceeds of the loan 217
  • 218. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 26 RESPA Exemptions: 25 acres or more Business, commercial, agricultural loans Temporary loans Vacant land Assumptions Loan modifications Transfer of loan servicing 218
  • 219. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 26: Definition of “An Application” Address Loan amount sought Income Estimated value of the property Name Social security number 219 Real Estate Settlement and Procedures Act http://www.hud.gov/offices/hsg/ramh/res/respa_hm.cfm
  • 220. Jillayne Schlicke CE Forward, Inc. DBA NAMF Difference between Credit Pre-Approval and an App: Financial Data Borrower’s Name Social Security Number Income Estimated value of the property Loan amount sought ….. Prop address (will have this if refinance, might not have this right away if borrower is still house-shopping.) ….. 220 Real Estate Settlement and Procedures Act http://www.hud.gov/offices/hsg/ramh/res/respa_hm.cfm
  • 221. Jillayne Schlicke CE Forward, Inc. DBA NAMF Sample RESPA question During a phone interview, borrower provides the loan originator with her name, social security number, income, estimated value of the home that she will be purchasing, and the loan amount she needs, and the property address. The loan originator has: a) Taken a loan application. b) Prequalified the borrower. c) Prequalified the borrower and early disclosures will not be sent out until the loan originator receives a fully executed purchase and sales agreement signed by all parties. d) Taken a loan application and early disclosures are due to be sent to the borrower within three days. 221
  • 222. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 26 RESPA Early Disclosure Package: Loan Estimate Within 3 days of the date on the loan application, we send the early disclosures to our borrowers. The Loan Estimate If purchase-money loan: Your Home Loan Toolkit If Adjustable Rate Mortgage, the CHARM Booklet If HOEPA, the extra required HOEPA disclosures Any other disclosures required by state and federal law 222
  • 223. Jillayne Schlicke CE Forward, Inc. DBA NAMF RESPA: Lender Required Use When the lender requires that the borrower use a certain settlement service provider, (for example, the appraisal management company) the borrower is owed an extra disclosure stating:  The use of the provider is required  Contact info of the provider  Description of the relationship between lender and provider  Statement that there is is no affiliated business relationship between the two companies. 223
  • 224. Jillayne Schlicke CE Forward, Inc. DBA NAMF RESPA: Affiliated Business Relationships Prior to the referral, an affiliated business arrangement disclosure statement is owed to the consumer. This disclosure must specify both:  The nature of the relationship (explaining the ownership and financial interest) between the provider and the financial institution and  The estimated charge or range of charges generally made by such provider This disclosure must also be provided on a separate piece of paper either at the time of loan application, or with the Loan Estimate, or at the time of the referral. Generally, the institution may NOT require the use of such a provider 224
  • 225. Jillayne Schlicke CE Forward, Inc. DBA NAMF RESPA: Escrow Accounts (loan servicing) The amount of escrow funds that may be collected at settlement or upon creation of an escrow account is restricted to an amount sufficient to pay charges, such as taxes and insurance, that are attributable to the period from the date such payments were last paid until the initial payment date. 225
  • 226. Jillayne Schlicke CE Forward, Inc. DBA NAMF 226 Which entities must comply with the anti-kickback provisions of RESPA? Lenders (banks, lenders, brokers) Real estate brokers/Realtors Title and Escrow Appraisers Home inspectors Mortgage insurance companies Credit reporting agencies Flood hazard check companies Attorneys Hazard insurance companies Home warranty companies Builders Real Estate Settlement and Procedures Act http://www.hud.gov/offices/hsg/ramh/res/respa_hm.cfm
  • 227. Jillayne Schlicke CE Forward, Inc. DBA NAMF RESPA Anti-kickbacks RESPA Section 8: Any person who gives or receives a fee or a thing of value (a payment, commission, fee, gift, or special privilege) for the referral of settlement business is in violation of section 8 of RESPA. Payments in excess of the reasonable value of goods provided or services rendered are considered kickbacks. 227
  • 228. Jillayne Schlicke CE Forward, Inc. DBA NAMF 228 Q: What is an “un-earned fee?” Un-earned fee, also called a kickback: A fee we receive but we have performed no work in exchange for receiving the fee. Example: Referral fees given or received are a violation of RESPA Quid Pro Quo. This for that Real Estate Settlement and Procedures Act http://www.hud.gov/offices/hsg/ramh/res/respa_hm.cfm
  • 229. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 26 RESPA Violations of Section 8's anti-kickback, referral fees and unearned fees provisions of RESPA are subject to criminal and civil penalties. In a criminal case a person who violates Section 8 may be fined up to $10,000 and imprisoned up to one year. In a private law suit a person who violates Section 8 may be liable to the person charged for the settlement service an amount equal to three times the amount of the charge paid for the service. 229
  • 230. Jillayne Schlicke CE Forward, Inc. DBA NAMF RESPA Kickbacks Large group discussion on common scenarios LOs may face once licensed. Are any of these scenarios allowed under the anti-kickback Section 8 of RESPA? 230
  • 231. Jillayne Schlicke CE Forward, Inc. DBA NAMF Asked to sponsor an event 1) Be there 2) cannot pay for the entire event 3) Signage 4) Collateral …FLYERS 5) Speak at the event 6) No Quid pro quo 231
  • 232. Jillayne Schlicke CE Forward, Inc. DBA NAMF MSAs = Marketing Services Agreements Examples: CFPB v. Prospect Mortgage, Keller Williams and RE/MAX CFPB v. Lighthouse Title CFPB v. Planet Financial 232
  • 233. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 26 RESPA Take the RESPA quiz 233
  • 234. Jillayne Schlicke CE Forward, Inc. DBA NAMF Federal Laws The laws shown in blue were passed during the late 1960s/early 1970s and notice that we are currently living through another wave of consumer protection laws directed at the mortgage lending industry. Truth in Lending Act 2009 Changes to TILA = MDIA 2011 FRB Rule on LO Comp R.E. Settlement and Proc. Act 2010 Dodd Frank Act 2015 TRID Equal Credit Opportunity Act Fair Credit Reporting Act Fair Housing Other Fed Laws 2008 SAFE Act 2010 Dodd Frank Act 234
  • 235. Jillayne Schlicke CE Forward, Inc. DBA NAMF 235 LE --- (loan estimate)------Ellie? CD ---- (closing disclosure)-------Seedy? Try hard to not use these acronyms with consumers. “CD” means something different to Realtors: Commission Disbursement Part of the Dodd Frank Act Went into effect Oct 3, 2015 TRID TILA RESPA Integrated Disclosure Rule
  • 236. Jillayne Schlicke CE Forward, Inc. DBA NAMF 236 Section 27 TILA RESPA Integrated Disclosure Rule Intent To Proceed Real Estate Settlement and Procedures Act (2009 Changes) http://www.federalreserve.gov/boarddocs/supmanual/cch/respa.pdf Imposing fees on a consumer before the consumer has received the Loan Estimate and indicated an “intent to proceed” with the transaction. A consumer may indicate intent to proceed in any manner the consumer chooses, unless a particular manner of communication is required by the creditor. A consumer’s silence is not indicative of intent to proceed. A creditor must document this communication to satisfy the record retention requirements.
  • 237. Jillayne Schlicke CE Forward, Inc. DBA NAMF Section 27 TILA RESPA Integrated Disclosure Rule Rule regarding “worksheets” There are other restrictions on the form of this statement to assure it is not confused with the Loan Estimate: Must be in font size no smaller than 12-point font. May not have headings, content, and format substantially similar to the Loan Estimate or the Closing Disclosure.