Ohio Prepayment Penalty Threshold Update
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The audit for prepayments in Ohio is updated to reflect 2018 adjustments to the dollar threshold for applicability.
The audit for prepayments in Ohio is updated to reflect 2018 adjustments to the dollar threshold for applicability.
Update to DocMagic systems and forms to allow selection of disaggregated 2018 GMI categories without also selecting an aggregated GMI category. Allow selection of any combination of GMI aggregated or disaggregated categories.
Added lender plan option for support of FNMA monthly mortgage insurance termination rules for 2-4 unit primary residences and 1-4 unit investment properties. Option supports automatic termination of monthly mortgage insurance for these loans at midpoint.
Expanded use of Business Purpose indicator to allow use on all loans regardless of the occupancy. Previously, business purpose was only applicable to loans with an occupancy of investment. Business purpose excludes certain documents, such as LE and CD, from returning.
Update to Notice of Intent to Proceed with Loan Application (NIPLA.GFE) for the Loan Estimate Issue Date referred to in the text to update when the Issue Date on Loan Estimate updates to reflect delivery through eSign process. Previously this date would update only if the NIPLA.GFE was processed in a different package and after the initial LE.
Updated selection logic for VTHRHP.DSC to also return for FHA and VA loans when loan is identified as a Vermont High Rate, High Point loan.
Update to final payment for Construction Only loans on Best/Worst Case Amortization and LE/CD Projected Payments. Final balloon payment updated to reflect total loan amount plus final interest payment.
To support FNMA and FHLMC decision to no longer accept loans using mortgages that name MERS as original mortgagee, DocMagic is removing the MERS versions of Maine mortgages from the Maine state build. For loans where mortgagees still wish to assign to MERS, FNMA/FHLMC require use of the new form 3749. Recognizing the use of FNMA/FHLMC versions of mortgages in the various states by FHA, VA and in that the decision taken by FNMA/FHLMC is a reaction to judicial action in the state of Maine disfavoring the naming of MERS as mortgagee, DocMagic is also updating the mortgages for these loan programs, as well as for second-lien loans and HELOCs.
The Maryland Affidavite of Refinancing Exemption (MDARE.MSC and MDARE2.MSC) have been updated. Previously, only one of the forms would return based on whether or not the borrowers were part of a trust or not. Logic has been updated to provide both forms if the worksheet has more than one borrower and is a trust. Clients will be responsible for determining whether or not both forms are required. If the loan is not a trust, only one of the forms will return in the forms list regardless of the number of borrowers.
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Informational audit for HPML/Section 35 has been added that asks the client to "please confirm the borrower(s) ability to repay using current income and assets" when the worksheet fails the HPML/Section 35 test.
CFPB HMDA Guidance