HUD/VA Addendum to Uniform Residential Loan Application
HUD/VA Addendum to Uniform Residential Loan Application
261802A2.VA
Updated VA expiration/revision date to match VA model form. (Date of Release to Production: 06/04/20)
HUD/VA Addendum to Uniform Residential Loan Application
261802A2.VA
Updated VA expiration/revision date to match VA model form. (Date of Release to Production: 06/04/20)
In order to keep DocMagic software users better apprised of document changes and additions as they occur, DocMagic posts listings of all newly created and revised documents. Here is the list of forms created or modified in June, 2020.
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DocMagic has revised the estimated schedule for releasing updated FHA adjustable-rate Notes and Riders.
In order to keep DocMagic software users better apprised of document changes and additions as they occur, DocMagic posts listings of all newly created and revised documents. Here is the list of forms created or modified in May, 2020.
To view all New/Revised Documents, click here
As previously announced in November, the Texas Finance Commission published amendments adopted for Texas Administrative Code rules 7 TAC §§ 80.201 and 81.201 in the Texas Register (44 Tex Reg 6524.6527) on November 1, 2019. Sections §§ 80.201 and 81.201 concern loan status forms that are attached to each of the sections as Forms A and B.
Nevada Commercially Reasonable Means or Mechanism Worksheet
NVCRMMW.MSC
Updated to the most recent website version. (Date of Release to Production: 05/07/20)
Tax Information Authorization
8821.MSC
Updated to February 2020 version. (Date of Release to Production: 04/23/20)
On April 14, 2020, Fannie Mae and Freddie Mac (the “GSEs”) made a joint announcement that the redesigned Uniform Residential Loan Application (“URLA”) and automated underwriting systems (“AUSs”) implementation timeline has been updated with extended milestone dates that move the required use date to March 1, 2021.
Federal agencies, along with Fannie Mae and Freddie Mac (the “GSEs”) have issued temporary guidance urging that additional due diligence be taken in verifying borrower income and employment information prior to closing. The guidance does not include specific disclosure requirements but allows for flexibility in verifying that a borrower’s ability to repay a loan has not been negatively impacted by the COVID-19 pandemic.
On April 1, 2020, Fannie Mae and Freddie Mac (the “GSEs”) issued additional guidance regarding the transition from LIBOR to SOFR ARM loans including eligibility, underwriting and delivery requirements. New Secured Overnight Financing Rate (“SOFR”) ARM products will use the 30-day average SOFR index published by the Federal Reserve Bank of New York.