| Title: | MBA: Dodd Bill Needs More Explicit Risk Retention Exemptions for Mortgages |
| Source: | MBA |
| Date: | 3/15/2010 |
WASHINGTON, D.C. (March 15, 2010) – Robert E. Story, Jr., CMB, Chairman of the Mortgage Bankers Association, issued the following statement in reaction to
proposed legislation to modernize regulation of the financial services industry.
“MBA supports efforts to modernize the regulatory structure for mortgage banking firms, but we are concerned that this bill
could be headed down several of the same wrong paths as the legislation that moved through the House late last year. This
bill does not provide uniform national regulation of all mortgage banking firms, and thus further solidifies the patchwork
of state and local laws that increase costs for borrowers and lenders alike.
“This version of the bill does move away from the "one size fits all" approach to risk retention by recognizing that certain
underwriting requirements, loan types and business models are inherently low risk, and we also are pleased that the bill is
cognizant of the impact of onerous risk retention requirements on the availability and cost of credit. However, we believe
the bill needs to be more explicit requiring regulators to provide specific exemptions for carefully underwritten, low-risk
residential mortgages.”
“Qualified residential loans that exhibit certain characteristics – such as 30-year fixed rate, fully documented, sufficient
downpayment – ought to be exempted from any risk retention requirement. These types of loans have well known and documented
risk profiles easily understood by the investor and should not require that the originator retain a portion of the loan on
its books.
“Further, it should be pointed out that residential mortgage originators, when they sell a loan into the secondary market,
retain legal representations and warranties that require them to buy the loan back from the investor where there is proof
that the loan was not properly underwritten. Requiring originators – especially small, locally-based lenders – to retain
a certain percentage of the loan on their books threatens the very business model that offers consumers choice and competition,
and thus more affordable loans.
“MBA does not believe that a “one-size fits all” approach to risk retention recognizes the uniqueness of the various debt
structures in the market place. In order to ensure continued market recovery, we strongly urge Congress to consider the current
safeguards that already exist within the commercial mortgage-backed securities (CMBS) market with regard to retaining risk.
Because mortgages secured by commercial real estate involve business-to-business transactions with sophisticated borrowers,
not individual consumers, an attempt to impose such a uniform approach to risk retention in this arena can create unintended
consequences and stymie further efforts toward economic recovery.
“MBA supports workable, effective reform of regulatory oversight of financial services, and we stand willing to work with
all parties to craft bipartisan solutions to some of the problems that caused the financial crisis.”
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The Mortgage Bankers Association (MBA) is the national association representing the real estate finance industry, an industry
that employs more than 280,000 people in virtually every community in the country. Headquartered in Washington, D.C., the
association works to ensure the continued strength of the nation's residential and commercial real estate markets; to expand
homeownership and extend access to affordable housing to all Americans. MBA promotes fair and ethical lending practices and
fosters professional excellence among real estate finance employees through a wide range of educational programs and a variety
of publications. Its membership of over 2,200 companies includes all elements of real estate finance: mortgage companies,
mortgage brokers, commercial banks, thrifts, Wall Street conduits, life insurance companies and others in the mortgage lending
field. For additional information, visit MBA's Web site: www.mortgagebankers.org.