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FHA publishes notice of proposed rulemaking regarding LIBOR transition

On Oct. 5, 2021, the Department of Housing and Urban Development (“HUD”) published an advance notice of proposed rulemaking (“ANPR”) in the Federal Register titled “Adjustable Rate Mortgages: Transitioning from LIBOR to Alternate Indices.”   Loans Concept. Word on Folder Register of Card Index. Selective Focus.-1In the ANPR, HUD is requesting public comment regarding the transition away from the London Interbank Offered Rate (“LIBOR”) index. Most Federal Housing Administration (“FHA”) adjustable-rate mortgages (ARMs) currently use the LIBOR index, which is set to be phased out. The Intercontinental Exchange Benchmark Association has announced that the one-week and two-month U.S. dollar LIBOR settings will cease to be published after Dec. 31, 2021 and the overnight, one-, three-, six-, and 12-month U.S. dollar LIBOR settings will only be available through June 30, 2023, and only for transition purposes. 

All ARM loans insured by the FHA must have a specified interest rate index that is approved in regulations by the Secretary of HUD. In 2007, HUD approved the LIBOR index along with the Constant Maturity Treasury (“CMT”). As the LIBOR index is set to be phased out, the FHA is considering the Secured Overnight Financing Rate (“SOFR”) index as its replacement for existing loans and new loans. HUD notes that SOFR has a compatible spread adjustment which should minimize the impact of a replacement index for legacy loans. The proposed rule will also include a transition date consistent with the cessation of the LIBOR index.

Comments may be submitted by mail or through the Federal Rulemaking Portal at www.regulations.gov and are due by Dec. 6, 2021.

If you have any questions regarding this article, please contact DocMagic’s Compliance Department.

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­­Ask the eClosing Team: What components do you need for a full eClosing?

Welcome to Ask the eClosing Team, an ongoing series where DocMagic’s eClosing pros tackle real questions that we’re hearing from lenders. Today’s response is supplied by eClosing Team member Leah Sommerville.

AteCT-leah sommervilleWhat components do you need to produce a full eClosing, including an eNote?

More and more lenders are interested in offering eNotes, which are skyrocketing in popularity due to their many benefits — especially post-closing, when it comes to selling the note instantaneously.

"The process for paper notes includes many manual steps that add time, enhance risk, and add additional shipping costs,” Sommerville said.eNotes, by comparison, can be delivered instantly to the secondary market, reducing time to funding and including full audit capabilities.”

Ask the eClosing Team: Why are eNotes better than paper? (and other burning questions)

Many lenders, however, still want clarity about what’s needed to deliver a full eClosing process. Sommerville boils it down to four necessary components:

1. e-Enabled Docs

To reach the finish line and provide completely electronic eClosings (the nirvana of every stakeholder’s experience), lenders must first be able to provide e-enabled documents for eClosing processes such as eSignature, eNotarization, eNote generation and eDelivery. Every eClosing process requires e-enabled documents. Fortunately, all of the documents in DocMagic’s eDocument library, which has more than 300,000 documents, are available in an e-enabled format.

The eNote specifically requires the SMART Doc file format determined by MISMO, the mortgage industry’s voluntary standards setting body. (Although SMART Docs have been around for about 20 years, the 1.02 SMART Doc version is the current requirement for eNotes, even as the industry also works towards a 3.0 verifiable version.) A SMART Doc locks together its data and visual presentation in a way that can guarantee the document’s integrity. It also includes a Tamper-Evident seal that is applied to the document to maintain its integrity as copies of the eNote are transferred from one MERS Member to another.

DocMagic’s Document Generation solution has the advantage of being able to produce e-enabled documents as well as generate a SMART Doc eNote.

For lenders currently unable to generate e-enabled documents, DocMagic’s proprietary AutoPrep Solution can instantly e-enable any document package for eClosing. In those cases, DocMagic’s robust digital lending platform can also generate the Category 1.02 SMARTDoc eNote to include in the AutoPrep eClose transaction.

2. eNotary technology

More lenders are using eNotary technology, and remote online notarization (RON) in particular, to conduct eClosings. A RON platform should have some specific elements, including:

  • Ability to store the RON Notary’s digital notary seal. “You want your document signature platform to have the capability to track the time and date stamp with the user’s IP address as each electronic signature is applied, but also to digitally apply a notary stamp/seal to electronically notarized documents,” Sommerville said.
  • The ability to maintain video recordings for a specific period of time, based on the various states’ laws as they pertain to document retention, along with the capability to produce a full audit trail.
  • Identity validation tools such as credential analysis and knowledge-based authentication (KBA).

3. eVault technology

Once the eNote has been generated, lenders need an eVault in which to store it. DocMagic’s eVault — which was built using proprietary technology that allows our eVault to seamlessly connect to our full suite of solutions — can store not just electronic documents, but also audio files of RON recordings.

Additionally, all of the lender’s partners need their own eVault if they’re going to purchase, service or maintain the eNote. The eNote’s authoritative copy (the eNote equivalent of the original paper note) can be instantly transferred from one stakeholder to the next, as well as having a copy eDelivered along the mortgage chain to the next stakeholder’s eVault.

Sommerville noted that many prominent mortgage institutions and investors already use DocMagic’s eVault, with many more slated to be in production soon.

4. MERS eRegistry connectivity

Every eNote has to be registered with the MERS eRegistry utilizing a unique Mortgage Identification Number (MIN) from MERS. The MERS eRegistry was set up to track which digital copy of the eNote is the authoritative copy and who has permissions to conduct life-of-loan edits to the eNote’s status. Although the MERS eRegistry is the system of record for eNotes, MERS does not actually store eNotes, which is why a dependable eVault is vital to any completely electronic eClosing process.

DocMagic’s close working relationship with MERS is crucial here. Lenders can sometimes find the setup process overwhelming and may lose momentum for their eNote efforts if any roadblocks pop up.

"DocMagic's eClose Team works closely with lenders to guide them not only through the necessary technology adoption, but also through MERS eRegistry setup (as required for eNotes),” she said. “We also work through successful adoption for the lender's business partners to ensure the best experience possible for all stakeholders."

A single-source solution

DocMagic’s Total eClose solution — which facilitates both hybrid closings and full eClosings — is one of the few eClosing platforms that can provide all four of these components. Most tech vendors in the mortgage space only provide one of two of these components, forcing a lender to contract with multiple lenders to produce an eNote.

The eClosing Team can be reached at eClosingTeam@docmagic.com.

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DigaSign Product Training

 

World Wide Notary, a DocMagic eNotarization partner, has developed DigaSign, an innovative, simple, Internet service to expedite the signing and/or notarization of documents by utilizing electronic and digital signatures and electronic notarizations.

Click on the download button for an in-depth PDF Guide designed to provide you with step-by-step instructions for navigating DigaSign.
If you still need help, click on the Customer Service button to schedule a call with one of our trained professionals.

DigiSign Product Training

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If you still need help, click on the Customer Service button to schedule a call with one of our trained professionals.

DigiSign Product Training

DigiSign placeholder

Click on the download button for an in-depth PDF Guide designed to provide you with step-by-step instructions for navigating DigiSign.
If you still need help, click on the Customer Service button to schedule a call with one of our trained professionals.

DigiSign Product Training

DigiSign placeholder

If you have any further questions, you can download the FAQ Page. This DigiSign at-a-glance provides you with answers to many common questions about DigiSign.
If you still need help, click on the Customer Service button to schedule a call with one of our trained professionals.

BytePro Product Training

 

BytePro is one of many LOS systems that works seamlessly with DocMagic’s exclusive, proprietary online data integration software.

 

Don't get charged multiple times for the same package. Click here.

Click on the download button for an in-depth PDF Guide designed to provide you with step-by-step instructions for navigating BytePro.
If you have any further questions, you can download the FAQ Page. This BytePro at-a-glance provides you with answers to many common questions about BytePro.
If you still need help, click on the Customer Service button to schedule a call with one of our trained professionals.

DocMagic named a 5-Star Mortgage Technology Provider for 2021

DocMagic was recently honored with Mortgage Professional America (MPA) Magazine’s 5-Star Mortgage Technology Provider Award.

MPA’s editors and researchers spoke to lenders and tech specialists across the country, and also considered advancements in innovation, to determine which companies should receive the recognition.

“This may be the year mortgage tech finally breaks through in a big way,” MPA stated.

The award lauds mortgage technology firms that have excelled in their respective fields over the last year, especially with the pandemic ramping up demand for eClosings. DocMagic’s end-to-end Total eClose platform, digital mortgage solutions, eServices and document preparation products were cited as key reasons for receiving the honor.

“Mortgage technology continues to be critical because it’s how lenders differentiate themselves; it’s how they improve their processes and their bottom line,” DocMagic CEO and president Dominic Iannitti told MPA. “Technology enables them to handle a high volume of transactions effectively and not let anything fall through the cracks.”

Even before the pandemic, DocMagic established a dedicated eClosing team “to hand-hold lenders uncomfortable with crossing that chasm to a paperless environment and advising them through that process,” Iannitti said. That kind of support for clients taking on new tech “is where the industry needs to go — and we’re committed to getting it there.”

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CFPB annual threshold adjustments for Regulation Z

The Consumer Financial Protection Bureau (“CFPB”) is required to annually calculate the dollar amounts for several provisions in Regulation Z. 

The CFPB recently issued a final rule amending the dollar amount thresholds under the HOEPA “points and fees” provisions of Regulation Z (12 CFR § 1026.32))a)(1)(ii)), referred to as “Section 32” by the industry, and the qualified mortgage “points and fees” provisions under Regulation Z (12 CFR § 1026.43((e)(3)(i)) based on the annual percentage change provided in the Consumer Price Index (CPI-U) in effect on June 1, 2021. Starting this year, the CFPB is also updating the loan amount thresholds for the APOR, price-based limits.

The threshold adjustments will be effective Jan. 1, 2022.

HOEPA Points and Fees Thresholds

The adjusted HOEPA points-and-fees dollar trigger for high-cost mortgages in 2022 will increase from $1,103 to $1,148. Additionally, the total loan amount threshold used to determine whether a loan is subject to the “total points and fees” provision of HOEPA, or Section 32 will increase from $22,052 for 2021 to $22,969 for 2022.

The fee-based trigger is used to determine whether the total points and fees payable by the consumer at or before loan closing subjects that loan to Section 32. Section 32 applies, in part, to certain loans if the total points and fees payable by the consumer at or before loan closing exceed the greater of eight percent (8%) of the total loan amount or a dollar amount threshold.

In addition to the Federal Section 32 test, this annual adjustment applies to the following state high cost tests: Colorado, Illinois, Maryland, Massachusetts, Oklahoma, Pennsylvania, Texas, and Utah. Please click here for more information.

To see DocMagic’s memorandum regarding HOEPA determination, please see Section 32 High Cost Calculation.

Qualified Mortgage Points and Fees Thresholds

The final rule updates the dollar amount thresholds for determining whether a loan is a qualified mortgage (“QM”) under the “points and fees” provision specified in Regulation Z (12 CFR § 1026.43(e)(3)(i)).

2021                                                                                        

2022

Loan Amount

Limitation

Loan Amount

Limitation

Greater than or equal to $110,260

3% of total loan amount

Greater than or equal to $114,847

3% of total loan amount

Greater than or equal to $66,156, but less than $110,260

$3,297

Greater than or equal to $68,908, but less than $114,847

$3,445

Greater than or equal to $22,052, but less than $66,156

5% of total loan amount

Greater than or equal to $22,969, but less than $68,908

5% of total loan amount

Greater than or equal to $13,783, but less than $22,052

$1,103

Greater than or equal to $14,356, but less than $22,969

$1,148

Less than $13,783

8% of total loan amount

Less than $14,356

8% of total loan amount

 

Qualified Mortgage APOR Price-Based Limits

In addition, to satisfy the General QM loan definition effective on March 1, 2021, the APR may not exceed the average prime offer rate for a comparable transaction as of the date the interest rate is set by the following amounts:

2021 Loan Amounts

Price Limitation

First-Lien Non-MH

First-Lien MH

Subordinate Lien

Greater than $114,847

2.25% + APOR

2.25% + APOR

3.5% + APOR

Less than $114,847 but greater than or equal to $68,908

3.5% + APOR

6.5% + APOR

Less than $68,908

6.5% + APOR

6.5% + APOR


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