NCUA's general lending regulation addresses residential real estate lending by Federal credit unions, and its member business loan regulation addresses commercial real estate lending. The savings and loan (S&L) crisis was a financial disaster that caused the failure of more than 1,000 U.S. savings and loans in the 1980s and 1990s. Conversely, financial institutions found the Proposal to be an improvement over existing guidance and indicated that it would promote consistent application of the Agencies' appraisal requirements. Similarly, the exemption should not be applied to a loan or loan program unless the institution verifies and documents the primary and secondary repayment sources. A confidence score generally refers to a vendor's own method of quantifying how reliable a model value is by using a rank ordering process. The Guidelines address the types of communications that would not be construed as coercion or undue influence on appraisers and persons performing evaluations, as well as examples of actions that would compromise independence. An institution's policies and procedures should specify methods for communication that ensure independence in the collateral valuation function. Validity of Appraisals and Evaluations, C. Modifications and Workouts of Existing Credits, Appendix B, Evaluations Based on Analytical Methods and Technological Tools. [63] 2 Version Log The Bureau updates this guide on a periodic basis to reflect finalized clarifications to the rule which impacts guide content. A sales concession may include, but is not limited to, the seller paying all or some portion of the purchaser's closing costs (such as prepaid expenses or discount points) or the seller conveying to the purchaser personal property which is typically not conveyed with the real property. 1376 (2010). [55] However, an institution should not directly or indirectly coerce, influence, or otherwise encourage an appraiser or a person who performs an evaluation to misstate or misrepresent the value of the property. Describe the requirements for reviewing Validation can be performed internally or with the assistance of a third party, as long as the validation is conducted by qualified individuals that are independent of the model development or sales functions. An institution should perform appropriate model validation regardless of whether it relies on AVMs that are supported by value insurance or guarantees. Two prospective value opinions may be required to reflect the time frame during which development, construction, and occupancy will occur. Table A1: Collateral Interest Underlying Property Characteristic Provided ValueCommuter Portfolio 161 North Arlington Avenue USPAP Appraisal (Y/N) FIRREA Appraisal (Y/N) Y YNew Horizon Apartments NAP Ground Lease Maturity 3/28/2040Exhibit 2 to Attachment A Page 8 of 14Notes: (continued)3. 13. Tract DevelopmentAs defined in the Agencies' appraisal regulations, a project of five units or more that is constructed or is to be constructed as a single development. and have no direct or indirect interest, financial or otherwise, in the property or the transactions. In these cases, an institution should support and document its rationale for using this exemption. FIRREA Appraisal (Y/N)Appraisal Report"Yes", if the Appraisal Report was prepared according to FIRREA. 60. Establish procedures to test the quality of the appraisal and evaluation review process. While some commenters cautioned that the Agencies' examiners should not be overly aggressive in requiring institutions to obtain new appraisals on existing loans, a few commenters asked for clarification on what would constitute a change in market condition and when an institution should re-value collateral. According to USPAP, appraisal reports must contain sufficient information to enable the intended user of the appraisal to understand the report properly. By order of the Board of Governors of the Federal Reserve System, December 1, 2010. It is subject only to the limitations imposed by the governmental powers of taxation, eminent domain, police power and escheat. OCC: Robert L. Parson, Appraisal Policy Specialist, (202) 874-5411, or Darrin L. Benhart, Director, Credit and Market Risk Division, (202) 874-4564; or Christopher C. Manthey, Special Counsel, Bank Activities and Structure Division, (202) 874-5300, or Mitchell Plave, Counsel, Legislative and Regulatory Activities Division, (202) 874-5090. In using a TAV to develop an evaluation, an institution should: The Agencies' appraisal regulations require an appraiser to analyze and report appropriate deductions and discounts for proposed construction or renovation, partially leased buildings, non-market lease terms, and tract developments with unsold units. Information about this document as published in the Federal Register. The appraiser must analyze and reconcile the information from the approaches to arrive at the estimated market value. 1. If absolute lines of independence cannot be achieved, an institution should be able to demonstrate clearly that it has prudent safeguards to isolate its collateral valuation program from influence or interference from the loan production process. 22. include documents scheduled for later issues, at the request that agencies use to create their documents. Engagement LetterAn engagement letter between an institution and an appraiser documents the expectations of each party to the appraisal assignment. When selecting an AVM or multiple AVMs, an institution should: Following the selection of an AVM(s), an institution should develop policies and procedures to address the appropriate use of an AVM(s) and its monitoring and ongoing validation processes. For loans or other extensions of credit, the amount of the loan or extension of credit; For sales, leases, purchases, and investments in or exchanges of real property, the market value of the real property interest involved; and. For the pooling of loans or interests in real property for resale or purchase, the amount of the loan or market value of the real property calculated with respect to each such loan or interest in real property. Appraisers must be appropriately certified or licensed, but this minimum credentialing requirement, although necessary, is not sufficient to determine that an appraiser is competent to perform an assignment for a particular property or geographic market. The Public Inspection page may also Dated at Washington, DC, the 1st day of December, 2010. A few commenters asked the Agencies to provide further clarification on the types of employees who would be considered as loan production staff. Generally, a report option that is restricted to a single client and intended user will not be appropriate to support most federally related transactions. provide legal notice to the public or judicial notice to the courts. Delineate the valuation method to be employed after considering the property type, current market conditions, current use of the property, and the relevance of the most recent appraisal or evaluation in the credit file. The sale, lease, purchase, investment in or exchange of real property, including interests in property, or the financing thereof; The refinancing of real property or interests in real property; or. When an appraisal includes prospective market value opinions, there should be a point of reference to the market conditions and time frame on which the appraiser based the analysis. The level of detail should be sufficient for the institution to understand the appraiser's analysis and opinion of the property's market value. Section 1471 of the Dodd-Frank Act added a new section 129H to the Truth-in-Lending Act (15 U.S.C. [56] When analyzing individual transactions, examiners will review an Start Printed Page 77457appraisal or evaluation to determine whether the methods, assumptions, and value conclusions are reasonable. Use the PDF linked in the document sidebar for the official electronic format. Approved Appraiser ListA listing of appraisers who an institution has determined to be generally qualified and competent to perform appraisals and may address the appraiser's expertise in a particular market and property type. establishing the XML-based Federal Register as an ACFR-sanctioned Moreover, the Guidelines stress that an institution should not select a valuation method or tool solely because it provides the highest value, the lowest cost, or the fastest response or turnaround time. Appraisers are expected to be selected for individual assignments based on their competency to perform the appraisal, including knowledge of the property type and specific property market. endstream endobj 1653 0 obj <>/Metadata 143 0 R/OCProperties<>/PageLabels 1643 0 R/PageLayout/OneColumn/Pages 1645 0 R/PieceInfo<>>>/StructTreeRoot 298 0 R/Type/Catalog>> endobj 1654 0 obj <>/Font<>/ProcSet[/PDF/Text]/Properties<>>>/Rotate 0/StructParents 0/Type/Page>> endobj 1655 0 obj <>stream An engagement letter also may specify whether there are any legal or contractual restrictions on the sharing of the appraisal with other parties. Refer also to the Federal Financial Institutions Examination Council Bank Secrecy Act/Anti-Money Laundering Examination Manual (Revised April 29, 2010) to review the general criteria, but note that instructions on filing a SAR through the Financial Crime Enforcement Network (FinCEN) of the Department of the Treasury are attached to the SAR form. This exemption is intended to have limited application, especially for real estate loans secured by residential properties in which the real estate is the only form of collateral. An evaluation should contain sufficient information detailing the analysis, assumptions, and conclusions to support the credit decision. Commenters also asked the Agencies to reaffirm that an institution cannot outsource its responsibility to maintain an effective and independent collateral valuation function. These costs may be incurred during the permitting, construction or selling stages of development. On or before the Transfer Date for such property, a Qualified FIRREA Appraisal shall have obtained by the Administrative Agent (which the Administrative Agent agrees to commission at the request and expense of the Originator), which appraisals shall have been made as of a date prior to the Transfer Date for such property (but not earlier than 180 days prior to such Transfer Date). (See USPAP Standard 1-2(c) and Statement 6.). Implying that current or future retention of a person's services depends on the amount at which the appraiser or person performing an evaluation values a property. The majority of financial institution and industry group commenters supported the Proposal and the Agencies' efforts to update existing guidance in this area. 213; and NCUA: NCUA Letter to Credit Unions 05-CU-06. Several commenters requested further clarification on appropriate policies and procedures for the review function. For example, a valuation method that provides a sales or list price, such as a broker price opinion, cannot be used as an evaluation because, among other things, it does not provide a property's market value. Comments provided by financial institutions support the approach taken in the Proposal, which establishes minimum supervisory expectations for an evaluation and is designed to ensure an institution obtains a more detailed evaluation, or possibly an appraisal, when additional information is necessary to assess collateral risk in the credit decision. Each document posted on the site includes a link to the 54. Given the importance of these concepts, the appendix contains an expanded discussion of the appraisal standard for deductions and discounts in a discounted cash flow analysis. The Agencies note that their appraisal regulations and guidance have been in place since the early 1990s and that financial institutions are familiar with the regulatory and supervisory framework. Some small institutions noted that they could be placed at a competitive disadvantage with larger institutions that use AVMs. An institution must obtain an appraisal when a loan workout involves the advancement of new monies and there is an obvious and material change in either market conditions or physical aspects of the property, or both, that threatens the adequacy of the institution's real estate collateral protection after the workout (unless another exemption applies). All real estate-related An institution should obtain an appraisal that is appropriate for the particular federally related transaction, considering the risk and complexity of the transaction. 12 CFR 722.3(d). In the notice for comment on the Proposal, the Agencies requested comment on the appraisal regulatory exemption for residential real estate transactions involving U.S. government sponsored enterprises (GSEs). This is a new Appendix in the Guidelines that is based on the discussion in the Proposal on the Agencies' minimum appraisal standards. To ensure their independence, such lending officials, officers, or directors must abstain from any vote or approval involving loans on which they ordered, performed, or reviewed the appraisal or evaluation.[26]. It is not an official legal edition of the Federal (FIRREA)2 requires each Agency to prescribe appropriate standards for the performance of real estate appraisals in connection with federally related Appendix B - Illustrative Written Source Documents for Higher-Priced Mortgage Loan Appraisal Rules . This site displays a prototype of a Web 2.0 version of the daily Qualified Appraiser An appraiser, duly appointed by the Seller, who had no interest, direct or indirect, in the Mortgaged Property or in any loan made on the security thereof, and whose compensation was not affected by the approval or disapproval of the Mortgage Loan, and such appraiser and the appraisal made by such appraiser both satisfied the requirements of Title XI of FIRREA and the regulations promulgated thereunder, all as in effect on the date the Mortgage Loan was originated. Appendix BEvaluations Based on Analytical Methods or Technological Tools. Changes in market conditions could include material changes in current and projected vacancy, absorption rates, lease terms, rental rates, and sale prices, including concessions and overruns and delays in construction costs. Given the risk to the institution that it may have to repurchase a loan that does not comply with the appraisal standards of the U.S. Start Printed Page 77468government agency or U.S. government-sponsored agency, the institution should have appropriate policies to confirm its compliance with the underwriting and appraisal standards of the U.S. government agency or U.S. government-sponsored agency. The Agencies' appraisal regulations require appraisals for federally related transactions to comply with the requirements in USPAP, some of which are addressed below. It resulted indramaticchanges tothe savings and loan industry and its federalregulation, including deposit insurance. The Guidelines retain the possible use of automated tools and sampling methods in the review of appraisals and evaluations supporting lower risk residential mortgages. These policies and procedures should foster timely and appropriate communications regarding the assignment and establish a process for responding to questions from the appraiser or person performing an evaluation. 03/01/2023, 43 The 2005 Frequently Asked Questions on the Appraisal Regulations and the Interagency Statement on Independent Appraisal and Evaluation Functions, OCC: OCC Bulletin 2005-6; FRB: SR letter 05-5; FDIC: FIL-20-2005; OTS: CEO Memorandum No. The institution should employ audit procedures and review a representative sample of appraisals supporting pooled loans or real estate notes to determine that the conditions of the exemption have been satisfied. [37] The Proposal noted that each Agency would address the approval process through established processes for communicating with its regulated institutions. NCUA's general lending regulation addresses residential real estate lending by Federal credit unions, and its member business loan regulation addresses commercial real estate lending. (See the discussion in these Guidelines on Selection of Appraisers or Persons Who Perform Evaluations.). Marketing TimeAccording to USPAP Advisory Opinion 7, the time it might take to sell the property interest at the appraised market value during the period immediately after the effective date of the appraisal. In the Proposal, this section addressed the competency and qualifications of appraisers and persons who perform an evaluation. This section in the Guidelines addresses the risk management practices that an institution should consider if it uses a third party to manage or conduct all or part of its collateral valuation function. While an institution must confirm that the appraiser holds a valid credential from the appropriate state appraiser regulatory authority, a state certification or license is a minimum credentialing Start Printed Page 77460requirement. Further, USPAP requires the appraiser to disclose whether he or she previously appraised the property. Temporary creation of the Resolution Trust Corp. to resolve the status of the nation's failed savi As in the Proposal, the Appendix in the Guidelines provides guidance on the Agencies' supervisory expectations regarding an institution's process for selecting, using, validating, and monitoring a valuation method or tool. Even if a subsequent transaction qualifies for this exemption, an institution should consider the risk posed by the transaction and may wish to consider obtaining a new appraisal. Institutions also should be aware of the recent amendments to Regulation Z, which address mandatory reporting provisions.[14]. 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