Loan Servicing Standards
Read: Why the Bureau’s Servicing Proposal Is Problematic
In July 2024, the Consumer Financial Protection Bureau proposed broad amendments to Regulation X’s loss mitigation procedural framework for borrowers to request and receive assistance when facing financial hardship. The proposal includes a prohibition on servicing and third-party fees, a ban on advancing the foreclosure process during loss mitigation reviews, and a conceptual outline of new requirements to expand language access to loss mitigation translations for limited English proficiency borrowers. Learn about:
- Core principles for reform
- Recommendations for the CFPB
- Myths and facts on servicers' role during loss mitigation
Read: Partial Claim Processing Delays: Risks and Solutions
The significant volume of partial claims completed throughout the COVID-19 pandemic have led servicers of FHA-insured mortgages to repeatedly receive notices from FHA’s Mortgagee Compliance Manager (MCM) demanding return of insurance funds for missing partial claim documents. Learn about:
- The impact of delays on servicers
- Recommended changes to regulation
- Immediate actions to ameliorate delays
Read: VA Partial Claims: Establishing a Permanent Program to Assist Veteran Borrowers
Veteran borrowers facing financial hardship should have access to additional tools to resolve delinquency and avoid foreclosure. The partial claim option available to FHA and USDA borrowers is not a tool in the Department of Veteran’s Affairs (VA) suite of loss mitigation options. Learn about:
- Actions by Congress
- Benefits of a Partial Claim Program
- Impact to the VBA
Recent MBA Activity Related to Government Servicing Issues
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MBA Letter to FHFA on FHLB RFI
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MBA Joint Trades Letter on the Revitalizing Downtowns and Main Streets Act
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MBA Joint Trades Letter on Committee Markup of the American Privacy Rights Act
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MBA Comment Letter on ML for Significant Cybersecurity Incident Reporting Requirements
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MBA Joint Trade Letter on FY 2025 Ginnie Mae Appropriations
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Written Statement of Karen Kreutziger Powell Chief Executive Officer Flat Branch Home Loans on Behalf of the Mortgage Bankers Association
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MBA Joint Letter on NFIP Proposed Dwelling Form Changes
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MBA Comment Letter on the American Privacy Rights Act of 2024 (“APRA”) Markup
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MBA Joint Trade letter on the Subcommittee on Innovation, Data, and Commerce Markup of Privacy Legislation
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MBA Comment Letter to FHFA on Freddie Mac’s Proposed Purchase of Single-Family Closed-End Second Mortgages
Related MBA Events
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School of Multifamily Property Inspections: November 2025: Online
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School of Mortgage Banking I: December 2025: South Florida
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School of Mortgage Banking II: December 2025: South Florida
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School of Mortgage Banking I: January 2026: Online
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School of Mortgage Banking II: February 2026: Online
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School of Multifamily Property Inspections: February 2026: Washington, DC
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