Press Release: Statement on Approval of Final QRM and QM Regulations

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For Immediate Release

October 21, 2014

Media Contacts

Robert Schwartz 202-207-3665 (rschwartz@prismpublicaffairs.com)
Michael Timberlake 202-207-3637 (mtimberlake@prismpublicaffairs.com)

USMI Statement on Approval of Final QRM and QM Regulations

“U.S. Mortgage Insurers (USMI) welcomes the approval by U.S. financial regulators today of final rules to align the definition of a Qualified Residential Mortgage (QRM) to the Qualified Mortgage (QM) standards, stemming from the Dodd-Frank financial reform legislation.  Aligning QRM with QM encourages responsible loan underwriting while also providing homebuyers with access to affordable mortgage financing with traditional, proven underwriting features.  This combination will help ensure a sustainable mortgage market that balances credit access and credit discipline, without greatly increasing compliance costs.

“USMI is dedicated to a housing finance system backed by private capital that enables access to housing finance for borrowers while protecting taxpayers. Mortgage insurance offers an effective way to make mortgage credit available to more people.  USMI is ready to help build the future of homeownership.”

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U.S. Mortgage Insurers (USMI) is dedicated to a housing finance system backed by private capital that enables access to housing finance for borrowers while protecting taxpayers. Mortgage insurance offers an effective way to make mortgage credit available to more people. USMI is ready to help build the future of homeownership.  Learn more at www.usmi.org.

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Press Release: Statement on FHFA Consideration of Lower Down Payment Requirements

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For Immediate Release

October 20, 2014

Media Contacts

Robert Schwartz 202-207-3665 (rschwartz@prismpublicaffairs.com)
Michael Timberlake 202-207-3637 (mtimberlake@prismpublicaffairs.com)

Statement by USMI on FHFA Consideration of Lower Down Payment Requirements

“USMI welcomes the announcement today by FHFA Director Watt that FHFA and the GSEs are working on sensible and responsible guidelines for expanding access to 97% loan-to-value (LTV) low down payment mortgages.  Restoring access to these mortgage loans is an important option that will help credit-worthy borrowers — especially first-time homebuyers — gain access to affordable homeownership.  Private mortgage insurance has been readily available to all creditworthy borrowers in this market segment for well over a decade, and those responsibly underwritten low-down-payment loans have a long track record of good performance. It is an example of how private mortgage insurance can help make mortgage credit available to more qualified borrowers, working with lenders of all sizes, while protecting taxpayers.  Return of a 97% LTV mortgage purchased by the GSEs for all creditworthy borrowers would expand access to credit while providing substantial first-loss protection for taxpayers provided by private capital.  USMI looks forward to learning more about the program and working with FHFA and the GSEs to responsibly expand the availability of mortgage credit.”

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U.S. Mortgage Insurers (USMI) is dedicated to a housing finance system backed by private capital that enables access to housing finance for borrowers while protecting taxpayers. Mortgage insurance offers an effective way to make mortgage credit available to more people. USMI is ready to help build the future of homeownership.  Learn more at www.usmi.org.

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Op-Ed: How Mortgage Insurance Can Improve Credit Access

USMI Co-Chairs Rohit Gupta and Adolfo Marzol talk about how MI can improve access to credit in this op-ed published in the American Banker this month:

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 How Mortgage Insurance Can Improve Credit Access

headshots of USMI Co-chairs Rohit Gupta and Adolfo Marzol
By Rohit Gupta And Adolfo Marzol

October 10, 2014

Policymakers, consumer advocates and housing industry experts are coming to a consensus that the credit pendulum has swung too far in the aftermath of the housing crisis. Many credit-worthy borrowers — especially first-time homebuyers — are having a hard time gaining access to affordable homeownership opportunities.

In order to improve mortgage credit access while avoiding the risks that led to the last crisis, we must recalibrate the status quo. Private mortgage insurance offers one effective way to make mortgage credit available to more people.

The mortgage insurance industry is vitally important for customers facing prohibitive down payments — one of the biggest hurdles to homeownership for many families. According to the Center for Responsible Lending, middle-income workers such as firefighters and teachers would need to save for approximately 20 years for even a modest 10% down payment on a $158,100 home — the median price in 2010.

For many prospective homebuyers, private mortgage insurance offers real help. It accounts for one of every three recently insured low-down-payment loans. And 43% of all private mortgage insurance loans to purchase a home go to first-time homebuyers, according to data from our trade group, U.S. Mortgage Insurers.

If economic conditions turn adverse, insurance coverage provides lenders with significant protection. And if the loan was sold to the GSEs, private mortgage insurance is in the first-loss position in the event of a default — before taxpayers are put at risk. In fact, since Fannie Mae and Freddie Mac entered conservatorship, private mortgage insurers have covered approximately $43 billion in claims, resulting in a substantial savings to taxpayers.

Recent regulatory changes put the industry in an even stronger position to support our nation’s housing finance priorities.

On Oct. 1, revised master policies developed to meet standards set by the GSEs under the oversight of the Federal Housing Finance Agency went into effect. These policies offer new assurances about mortgage insurers’ consistent handling and payment of claims and greater transparency about the contractual protections for lenders and investors with regards to representations and warranties. These enhanced contracts will give lenders greater confidence to offer home loans backed by private mortgage insurance.

The FHFA is also directing the adoption of updated standards that determine when a mortgage insurance company is eligible to insure loans that the GSEs purchase or guarantee. When finalized, these tougher standards will require insurers to have a minimum of $400 million in liquid assets on hand to pay claims on defaulted mortgages. Ultimately, by establishing more rigorous financial standards and comprehensive business, risk management and operational requirements for mortgage insurance companies, the changes will confirm the long-term value of private mortgage insurance for borrowers, lenders and taxpayers. Members of U.S. Mortgage Insurers are also working with state insurance regulators as they update state insurance laws to incorporate lessons learned from the downturn.

Looking forward, there are even more opportunities for reform. One way to improve housing affordability is for the FHFA to ensure that mortgage insurance is fully recognized when GSE guarantee fees are calculated. We believe that the current fees fail to fully take into account the risk-reducing impact of private mortgage insurance. As a result, consumers are overcharged, putting low- and moderate-income and first-time homebuyers at a disproportionate disadvantage.

Another way to promote responsible homeownership would be for FHFA to restore widespread consumer access to prudently underwritten 97% loan-to-value fixed-rate mortgages made by lenders and sold to the GSEs with private mortgage insurance. Responsibly underwritten low-down-payment loans have a long track record of good performance, and they play a critical role in ensuring broad access to affordable options for qualified borrowers.

Finally, Congress should permanently restore the longstanding tax-deductible treatment of mortgage insurance premiums, which expired at the end of 2013. These premiums are the economic equivalent of mortgage interest payments, which remain deductible.

Ultimately, Congress and regulators should work together to further expand sustainable access to credit while increasing the industry’s reliance on private capital. This latter effort will help protect taxpayers, who bear substantial exposure to mortgage credit losses through the GSEs. Private mortgage insurance is already expanding homeownership access and protecting taxpayers, but there is still more work to be done.

Rohit Gupta, president and chief executive of Genworth Mortgage Insurance, and Adolfo Marzol, executive vice president of Essent, are co-chairs of U.S. Mortgage Insurers.

Click here to download the full op-ed as a PDF.

Comment Letter: FHFA Single Security

Yesterday, USMI submitted comments on the request for input from the Federal Housing Finance Agency (“FHFA”) regarding the proposed structure for a single security to be issued and guaranteed by Fannie Mae and Freddie Mac (the “GSEs”).  USMI supports FHFA’s goal of maintaining a highly liquid secondary market while developing a single security, and believes that private MI will help to achieve that objective.  Private MI works seamlessly with the to-be-announced (“TBA”) market today and  enhances market liquidity by serving as a source of private capital.  Preserving the current role of MI and expanding the use of MI as part of any transition will maximize taxpayer protection and enable an efficient and liquid market that benefits lenders, investors, taxpayers and borrowers.  USMI looks forward to working with FHFA as work on this initiative progresses.

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BY ELECTRONIC SUBMISSION
Federal Housing Finance Agency
Office of Strategic Initiatives Constitution Center
400 7th Street, SW
Washington, D.C. 20024

Re: Request for Input – Proposed Single Security Structure Ladies and Gentlemen:

U.S. Mortgage Insurers (“USMI”) welcomes the opportunity to submit comments on the request for input from the Federal Housing Finance Agency (“FHFA” or “Agency”) regarding the proposed structure for a single security (“Single Security”) to be issued and guaranteed by Fannie Mae and Freddie Mac (collectively, the “Enterprises”). USMI supports FHFA’s goal of maintaining a highly liquid secondary mortgage market in developing the Single Security structure and believes that potential disruptions that might arise from moving to the structure can be mitigated through the preservation of key elements of the existing to-be-announced (“TBA”) market, including the use of private mortgage insurance (“MI”) as a form of credit enhancement. A liquid, well-functioning TBA market is essential to providing single-family borrowers an affordable and accessible 30-year fixed rate mortgage, and large and small lenders alike rely on this market to securitize loans and manage risk.

As further discussed below, USMI supports FHFA’s efforts to work to implement a Single Security. In particular, we note that:

  1. MI works seamlessly today with the TBA market and enhances the liquidity of the market by serving as a source of private capital that enables the TBA market to operate very effectively for investors, lenders, taxpayers and, most importantly, borrowers. Also, as MI continues to expand access to homeownership, larger securitization volumes will support greater liquidity in the TBA market.
  2. In any transition to a Single Security structure, preserving the current role of MI and expanding the use of MI will maximize taxpayer protection from credit risk while obtaining the full liquidity potential benefit of the Single Security structure.

The TBA market, as FHFA notes in its proposal, is a cornerstone of a strong and highly liquid secondary mortgage market that benefits taxpayers, lenders, investors, and borrowers. A transition to a Single Security structure will undoubtedly produce some anxiety among stakeholders in the housing industry. Retaining the elements of the current TBA market that lenders and investors have relied upon for years, such as standard cover MI, will help ensure that such anxiety does not disrupt the housing market.

MI is an essential component of the TBA market because of the many benefits it provides taxpayers, lenders, investors, and borrowers. MI has transparent pricing and credit terms that enable participants in the housing market to make informed judgments when assessing mortgages with MI. These terms also create an additional oversight mechanism for the housing market by serving as a form of review of creditors’ and other market participants’ standards.

MI provides a source of private capital that serves to reduce the risk to taxpayers from the Enterprises’ operations by placing MI’s private capital in a first loss position and to enable the Enterprises to support low down payment mortgages with loan-to-value ratios in excess of 80 percent. Without MI, many borrowers, especially first-time homebuyers, low-to-moderate income homebuyers, and homebuyers in underserved communities, would not be able to afford the purchase of a home. MI thus ensures liquidity for a critical part of the residential mortgage market. MI companies have a demonstrated history of making credit available to low down payment borrowers through times of financial stress. Finally, MI contributes to market stability during challenging housing conditions by facilitating foreclosure prevention and loss mitigation to the extent borrowers experience financial hardship.

Earlier this year, FHFA published a draft of revised MI eligibility requirements (“PMIERs”). When finalized and implemented, the PMIERs will be a unified set of standards applicable to all MI companies seeking to do business with the Enterprises. The final PMIERs will solidify MI’s value in the U.S. housing finance system and also will help promote fungible Enterprise mortgage backed securities (“MBS”); a key step towards a Single Security structure.

The remainder of this comment letter responds to two specific questions in the Agency’s request for input.

1. What key factors regarding TBA eligibility status should be considered in the design of and transition to a Single Security?

Because of the extensive benefits of MI described above, FHFA should ensure that all legacy Enterprise MBS reflecting loans with MI remain eligible for the TBA market and that MI’s role as a form of credit enhancement is fully recognized in the analytics calculating the Enterprises’ estimated costs of providing a credit guarantee in a Single Security structure. Recognizing that not all loan level credit enhancements have the same or even similar regulatory environments, the TBA market would be well-served by ensuring that loan level credit enhancements have equivalent capital, reserve, liquidity, and leverage requirements in order to preserve the uniformity and fungibility that is in place in this sector of the market today. By fully recognizing MI in a Single Security structure, the Agency will maximize liquidity in the secondary mortgage market.

4. What can be done to ensure a smooth implementation of a Single Security with minimal risk of market disruption?

Market disruption from the transition to a Single Security framework can be mitigated by preserving the role that MI plays as a form of credit enhancement. FHFA’s implementation of a Single Security structure will require significant changes to the Enterprises’ MBS and disclosure and notice to the housing industry well in advance of the effectiveness of such changes. By refraining from making any changes to either the status or effect of MI, the Agency will leave unaltered an important component of the secondary mortgage market. This will give housing industry stakeholders certainty that, amidst many changes, MI will continue to play an important role in the Enterprises’ securitization activities.

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USMI appreciates the opportunity to comment on FHFA’s Single Security proposal. Questions or requests for further information may be directed to the co-chairs of USMI, Rohit Gupta and Adolfo Marzol, at info@usmi.org.

Sincerely,

U.S. Mortgage Insurers

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Press Release: USMI Submits FHFA Strategic Plan Comment Letter

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For Immediate Release

September 15, 2014

Media Contacts

Robert Schwartz 202-207-3665 (rschwartz@prismpublicaffairs.com)

USMI Submits FHFA Strategic Plan Comment Letter

Highlights How MI Can Help Advance Housing Finance Goals

USMI today submitted its response to the Federal Housing Finance Agency (FHFA) request for input regarding its strategic plan for fiscal years 2015 through 2019. USMI believes that FHFA’s Plan should further take into account mortgage insurance’s (“MI”) role as a reliable source of credit enhancement that can help advance and support the strategic goals of the Plan to ensure liquidity, stability, and access in housing, benefitting taxpayers, borrowers, and lenders.

FHFA regulates the government sponsored housing finance enterprises, Fannie Mae and Freddie Mac (GSEs). The FHFA Plan identifies three strategic goals for the GSEs: (1) ensuring safe and sound regulated entities; (2) ensuring liquidity, stability, and access in housing finance; and (3) managing the GSEs’ ongoing conservatorships.

USMI highlighted a number of specific ways that MI can help advance and support FHFA’s strategic goals, including:

  • Because of the many risk-reducing benefits of MI to protect taxpayers against losses, FHFA should expand and deepen MI’s use on a wider range of GSE loans to help meet the FHFA goal of Ensuring Safe and Sound Regulated Entities.
  • FHFA should fully recognize MI when calculating GSE guarantee fees (g-fees) to avoid double charging consumers and to help meet the FHFA goal of Ensuring Liquidity, Stability, and Access in Housing Finance.
  • In further support of this goal, the GSEs should restore widespread access to a prudently underwritten 97 percent LTV fixed-rate mortgage to further promote responsible access to credit for creditworthy borrowers
The full USMI comment letter is available here.

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U.S. Mortgage Insurers (USMI) is dedicated to a housing finance system backed by private capital that enables access to housing finance for borrowers while protecting taxpayers. Mortgage insurance offers an effective way to make mortgage credit available to more people. USMI is ready to help build the future of homeownership.  Learn more at www.usmi.org.

Download as PDF

 

Press Release: Statement from U.S. Mortgage Insurers (USMI) on PMIERs and G-Fees

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For Immediate Release

September 8, 2014

Media Contacts

Robert Schwartz 202-207-3665 (rschwartz@prismpublicaffairs.com)
Michael Timberlake 202-207-3637 (mtimberlake@prismpublicaffairs.com)

Statement from U.S. Mortgage Insurers (USMI)

“Today, the 60-day comment period closed on revised Private Mortgage Insurer Eligibility Requirements (“PMIERs”) that set standards for approving mortgage insurers (MIs) covering GSE loans.  MI is an integral part of the mortgage finance system because it provides first position credit loss protection for higher loan-to-value loans guaranteed by Fannie Mae and Freddie Mac (the “GSEs”).  USMI members appreciate the opportunities to engage with FHFA and the GSEs on this important issue.

“USMI member companies have submitted responses to the Request for Input published in the Federal Register.  USMI members remain united in support of the need to update the PMIERs.  When finalized, those standards will confirm the long-term value of MI for mortgage borrowers, lenders, and taxpayers.  Accordingly, USMI will continue to work closely with FHFA and the GSEs to finalize and implement the PMIERs.

“USMI members also will continue to work closely with the National Association of Insurance Commissioners’ Mortgage Guaranty Insurance Working Group as it updates the Mortgage Guaranty Insurance Model Act (“Model Act”) to strengthen state regulatory standards regarding MI.  Supporting both updated national standards and state regulation, USMI members are committed to sound prudential regulation that works in a complementary manner to enable a well-functioning market for borrowers, lenders and policyholders.

“In addition, in August, USMI submitted a letter responding to the Request for Input regarding g-fees.  G-fees must be set at levels that fully recognize the risk mitigating benefits of MI to avoid double charging consumers.  The comment period for that Request also closed today.

“The MI industry has shown significant momentum since the housing downturn.   In addition to the revised PMIERs, MI has recapitalized, attracted new entrants, and finalized new master policies that provide greater clarity and transparency on the mortgage insurance process.  Mortgage insurers have also covered approximately $43 billion in claims to the GSEs since the GSEs entered conservatorship, resulting in a substantial savings to taxpayers.”

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U.S. Mortgage Insurers (USMI) is dedicated to a housing finance system backed by private capital that enables access to housing finance for borrowers while protecting taxpayers. Mortgage insurance offers an effective way to make mortgage credit available to more people. USMI is ready to help build the future of homeownership.  Learn more at www.usmi.org.

Download as PDF

Comment Letter: To FHFA on G-Fees

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For Immediate Release

August 14, 2014

Media Contacts

Robert Schwartz 202-207-3665 (rschwartz@prismpublicaffairs.com)
Michael Timberlake 202-207-3637 (mtimberlake@prismpublicaffairs.com)

Full Recognition of MI Benefits Needed to Avoid Double Charging Consumers

USMI today submitted its response to the Federal Housing Finance Agency (FHFA) request for input (RFI) regarding the guarantee fees (g-fees) that Freddie Mac and Fannie Mae charge to lenders.  The RFI follows FHFA’s suspension in January 2014 of proposed increases to g-fees.  USMI comments focused on the following key issues:

  • The g-fee framework should fully take into account MI’s risk-reducing benefits in order to minimize costs to borrowers.  While the framework for calculating g-fees in the RFI is intended to price actual credit risk, USMI believes it fails to fully take into account the risk-reducing benefits of private mortgage insurance (“MI”).  As a result, consumers are charged twice for the same credit risk mitigation.  This disproportionately disadvantages low- and moderate-income and first time homebuyers.  MI is a well accepted and well regarded form of credit enhancement that has made homeownership possible for millions of people who otherwise would not have qualified for mortgage loans.  Full recognition of MI should reduce the cost of mortgages with MI, and create stronger incentives for credit risk to be served by private capital in a competitive market.
  • Increased transparency of the models used to compute g-fees is needed by market participants.  USMI strongly believes that there should be significantly greater transparency with respect to the models (the analytical framework, its assumptions, and its inputs) that are used for pricing and to compute g-fees because these models have an extraordinary impact on the U.S. housing market.  Disclosing the specific parameters of the models used and soliciting public input regarding the parameters would be a helpful first step.
  • G-fees should not be increased to attempt to “crowd in” private capital.  Private label securities historically have been an unreliable source of liquidity in times of economic stress.  In addition, increasing g-fees in this manner would result in increased costs to borrowers and potentially other unintended consequences.  In the absence of a mandate to use g-fees to attempt to crowd in private capital, there is no justification for such increased costs or other unintended consequences.  As such, FHFA should formally withdraw the proposed g-fee increases announced on December 9, 2013.

The full USMI comment letter is available here.

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U.S. Mortgage Insurers (USMI) is dedicated to a housing finance system backed by private capital that enables access to housing finance for borrowers while protecting taxpayers. Mortgage insurance offers an effective way to make mortgage credit available to more people. USMI is ready to help build the future of homeownership. Learn more at www.usmi.org.

Download as PDF

Press Release: Statement on Mortgage Insurance Eligibility Requirements (PMIERs)

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For Immediate Release

July 10, 2014

Media Contacts

Robert Schwartz 202-207-3665 (rschwartz@prismpublicaffairs.com)
Michael Timberlake 202-207-3637 (mtimberlake@prismpublicaffairs.com)

Statement from U.S. Mortgage Insurers (USMI)

“Today, FHFA published new, draft Private Mortgage Insurer Eligibility Requirements (“PMIERs”) that establish the standards for MIs to be approved to insure loans sold to or guaranteed by Fannie Mae and Freddie Mac (the “GSEs”). USMI member companies support this important effort to set standards that will help provide confidence to market participants and policy makers regarding the long-term value of MI.”

“Once finalized, the new PMIERs will complement the significant progress the industry has made since the housing downturn. The MI industry has recapitalized, attracted new entrants and finalized new master policies that will go into effect October 1 of this year and provide greater clarity and transparency on the mortgage insurance process – from origination through servicing and claim settlement. Mortgage insurers have played a very important role during the downtown, covering approximately $44 billion in claims since the GSEs entered conservatorship, resulting in a substantial savings to taxpayers. The draft PMIERs are subject to a 60 day notice and comment period. USMI member companies expect to provide comments to FHFA during the public input period and to work closely with FHFA and the GSEs to implement the PMIERs.”

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U.S. Mortgage Insurers (USMI) is dedicated to a housing finance system backed by private capital that enables access to housing finance for borrowers while protecting taxpayers. Mortgage insurance offers an effective way to make mortgage credit available to more people. USMI is ready to help build the future of homeownership.  Learn more at www.usmi.org.

Download as PDF

Press Release: USMI Welcomes New GSE Master Policies

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For Immediate Release

June 25, 2014

Media Contacts

Robert Schwartz 202-207-3665 (rschwartz@prismpublicaffairs.com)
Michael Timberlake 202-207-3637 (mtimberlake@prismpublicaffairs.com)

Statement from U.S. Mortgage Insurers (USMI)

“USMI is very pleased that Fannie Mae and Freddie Mac have announced an effective implementation date of October 1, 2014 for new mortgage insurance master policies. New master policies provide assurances about the consistent handling and payment of claims and bring greater transparency to contractual protections for lenders and investors with regard to “representations and warranties.” This important step forward is a component of meaningful reforms that will help ensure that the industry maintains a strong financial position and meets its obligations.”

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U.S. Mortgage Insurers (USMI) is dedicated to a housing finance system backed by private capital that enables access to housing finance for borrowers while protecting taxpayers. Mortgage insurance offers an effective way to make mortgage credit available to more people. USMI is ready to help build the future of homeownership.  Learn more at www.usmi.org.

Download as PDF

Comment Letter: Housing Trade Groups File National Mortgage Database

The following letter was delivered to the Federal Housing Finance Agency:

 

May 16, 2014

Alfred M. Pollard, General Counsel
Attention: Comments/2014-N-03
Federal Housing Finance Agency
400 Seventh Street S.W.
Washington, D.C. 20024

Via Email at RegComments@fhfa.gov

RE: 2014-N-03
Dear Mr. Pollard:

The undersigned associations appreciate the opportunity to comment on the Notice of revision to an existing system of records (2014-N-03) regarding the National Mortgage Database (the “NMDB”) under development by the Federal Housing Finance Agency (FHFA) and the Consumer Financial Protection Bureau (CFPB). The NMDB has two stated purposes: to facilitate mandatory reporting under the Housing and Economic Recovery Act of 2008 and to conduct “research, performance modeling and examination monitoring.” In addition to borrower records based on credit repository data, the database will include results of ongoing borrower surveying. Records will be matched with records within other datasets and then personal identifiers will be “deidentified” before the NMDB is used for research. This matching function makes the NMDB unique and uniquely valuable as a research tool.

In July 2013, representatives of FHFA, the CFPB and Freddie Mac presented at the International Conference of Collateral Risk: Moderating Housing Cycles and their Systemic Impact. The presenters explained that the NMDB is being set up as “a public good” that is needed because existing databases (HMDA, LPS McDash , CoreLogic and NY Fed Equifax) are not fully representative, and in the case of HMDA, also do not report data until 9-21 months after a mortgage is originated. For some, the cost of obtaining information from the existing databases is prohibitive.

By closing these existing data gaps, the NMDB will serve as a valuable research tool that should be made broadly available for housing finance research and analysis. However, it is currently contemplated that access to the NMDB will be allowed only for certain employees of federal government agencies, reserve banks and Fannie Mae and Freddie Mac (“the Enterprises”). The undersigned believe that it is inappropriate and unnecessary to restrict access to the NMDB in this way. The NMDB will facilitate important undertakings within the private sector, including market analysis, product development and evaluation of credit risk standards. It will also enable third parties to assess work done by federal agencies or the Enterprises based on the NMDB, and will promote robust policy discussions and help to drive sound outcomes. Consumer identifying information will be removed from the NMDB, thus minimizing any potential threat to consumer privacy. However, if FHFA or the CFPB has lingering concerns about privacy issues, a simple user agreement to refrain from reverse engineering records would provide added protections.

The undersigned appreciate your consideration of this important issue. Feel free to contact any of us if we may be of further assistance.

 

Very truly yours,

Mortgage Bankers Association
Attn: Stephen A. O’Connor (soconnor@mba.org)

National Association of Home Builders
Attn: David L. Ledford (dledford@nahb.org)

U.S. Mortgage Insurers
Attn: Rohit Gupta (rohit.gupta@genworth.com)
Adolfo F. Marzol (adolfo.marzol@essent.us) .

 

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Press Release: USMI Applauds Bipartisan Vote on Johnson-Crapo

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For Immediate Release

May 15, 2014

Media Contacts

Robert Schwartz 202-207-3665 (rschwartz@prismpublicaffairs.com)
Michael Timberlake 202-207-3637 (mtimberlake@prismpublicaffairs.com)

Statement from U.S. Mortgage Insurers (USMI)

“U.S. Mortgage Insurers (USMI) applauds the bipartisan vote by the Senate Banking Committee to approve the Johnson-Crapo housing finance legislation.

“The Johnson-Crapo bill recognizes the valuable role of private mortgage insurance to provide creditworthy borrowers with access to affordable and sustainable mortgages, protect taxpayers, and serve lenders of all sizes.

“USMI is dedicated to a housing finance system backed by private capital that enables access to housing finance for borrowers while protecting taxpayers. Mortgage insurance offers an effective way to make mortgage credit available to more people.

“USMI members look forward to working with policymakers in support of comprehensive housing finance reform legislation that relies on a stable platform of private capital and sound lending practices to build the future of homeownership.”

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U.S. Mortgage Insurers (USMI) is dedicated to a housing finance system backed by private capital that enables access to housing finance for borrowers while protecting taxpayers. Mortgage insurance offers an effective way to make mortgage credit available to more people. USMI is ready to help build the future of homeownership.  Learn more at www.usmi.org.

Download as PDF

Letter: USMI Urges Support of Johnson-Crapo

USMI delivered the following letter to members of the Senate Banking Committee:

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April 28, 2014

 

The Honorable Tim Johnson
Chairman
Senate Banking Committee
136 Hart Senate Office Building
Washington, DC 20510

The Honorable Mike Crapo
Ranking Member
Senate Banking Committee
239 Dirksen Senate Office Building
Washington, DC 20510

 

Dear Chairman Johnson and Ranking Member Crapo:

With the Senate Banking Committee set to consider the Johnson-Crapo comprehensive housing finance legislation, the members of U.S. Mortgage Insurers – USMI – applaud the Committee leadership for their bipartisan work on this important bill, and urge the Members of the Committee to support it.

The Johnson-Crapo bill reflects several compelling goals.  There is a growing consensus that the current housing finance system, dominated by government support, is unsustainable.  There is also widespread recognition that private capital, and not the taxpayers, should bear more of the risks of losses from another housing downturn.  Reform should be accomplished in a manner that keeps mortgage financing affordable and accessible to creditworthy borrowers across the economic spectrum.

We are pleased that the bill recognizes the important role of private mortgage insurance in ensuring that creditworthy borrowers continue to have access to affordable and sustainable mortgages, protecting taxpayers, and serving lenders of all sizes.

We look forward to working constructively with the Committee and other policymakers as the process moves forward to help build a well-functioning housing finance system backed by private capital.

 

Sincerely,

Rohit Gupta, President and CEO of Genworth Mortgage Insurance (Co-Chair)
Adolfo Marzol, Executive Vice President of Essent (Co-Chair)

cc: Members of Senate Banking Committee

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