© 2015 Fidelity National Title Group a a Know before you close. The New Loan Estimate & Closing Disclosure Explained A look at the different sections of.

Slides:



Advertisements
Similar presentations
NEW HUD RULES AND RESPA REFORM January 22, 2010 Julie M. Palmaccio, Esquire Cushing & Dolan, P.C. Attorneys At Law 375 Totten Pond Road, Suite 200 Waltham,
Advertisements

12/ Application GFEHUD-1Chng Cir/ Tolerance /2009.
The Final RESPA Rule. Principles of RESPA Reform Help consumers shop for the best loan Shopping leads to greater competition & lower prices 2.
TILA-RESPA INTEGRATED DISCLOSURES BY: MATTHEW R. FILPI ATTORNEY AT LAW
Fall 2014 Compliance Seminar Panel Discussion
© OnCourse Learning. All Rights Reserved. Closing the Real Estate Transaction Learning Objectives  List the preliminaries to closing  List the items.
TILA-RESPA INTEGRATED DISCLOSURES BY: MATTHEW R. FILPI ATTORNEY AT LAW.
1 TILA / RESPA Integration The Times, They Are A-Changing (Again)! – presented by – Jack Konyk Executive Director, Government Affairs 2015 OMBA Annual.
TILA-RESPA Integrated Disclosures Setting the Stage – Understanding Changes, Managing Expectations and Creating Opportunities.
© 2015 Fidelity National Title Group
© 2015 Ticor Title Know before you close. 1 © 2015 Ticor Title Straight talk about how we can have a smooth transition to the new CFPB regulations and.
Title Industry Panel Discussion
TILA-RESPA INTEGRATED DISCLOSURE (TRID) RULE Effective August 1, 2015
© 2015 Fidelity National Title Group. Five Things You Need to Know Before August Who will prepare the new Closing Disclosure? 2.Who will deliver.
TILA-RESPA Integrated Disclosures
© 2015 Ticor Title Know before you close. 1 © 2015 Ticor Title Your CFPB readiness partner – every step of the way Know before you close. An Introduction.
© 2015 Ticor Title Know before you close. 1 © 2015 Ticor Title New mortgage disclosure forms and how they change every transaction you work on after August.
Integrated Disclosures Zack Boonjue
Five Things to Know: Five Things You Need to Know Before August 2015
The CFPB and the Rules Affecting the Way we Do Business! Presented by Dawn Enoch Moore Texas Land Title Association President.
CUNA Mutual Group Proprietary Reproduction, Adaptation or Distribution Prohibited © 2015 CUNA Mutual Group, All Rights Reserved. TILA/RESPA: More than.
Cunningham & Company is a trade name for CMC Funding, Inc. NMLS ID#
© 2015 Fidelity National Title Group. Five Things You Need to Know Before August What Transactions Types Are Affected? 2.What Transaction Types.
Presented by: Aaron Blum Bank of the West Date: January 26, 2010 RESPA OVERVIEW OF GFE/HUD-1 CHANGES.
“RESPA Reformation” Putting The Pieces Together! This presentation is not for distribution to the public. 11/30/2009.
1 © 2015 Fidelity National Title Group. 2 What is the CFPB?  CFPB Stands for the CONSUMER FINANCIAL PROTECTION BUREAU  It is an Independent Bureau within.
RESPA TILA INTEGRATED DISCLOSURE RULE BCAC Speakers: Richard Hogan, Vice President and Associate General Counsel, CATIC Jeremy Potter, General Counsel.
TILA-RESPA Integrated Disclosure Guide to the Loan Estimate and Closing Disclosure forms Nuts & Bolts Fayetteville Regional Association of REALTORS® June.
© 2015 Ticor Title Know before you close. 1 © 2015 Ticor Title Important things to know and how they change transactions you work on every day. Five Things.
© OnCourse Learning Chapter 16 : Title Closing and Escrow.
© 2015 Fidelity National Title Group. Five Things You Need to Know Before August What Transactions Types Are Affected? 2.What Transaction Types.
Brief Walk Through of TRID
The Consumer’s Guide to TRID
The SoftPro Solution. The Final Rule Patrick Hempen SoftPro Corporation SVP Sales & Marketing
June 12, 2015 TILA-RESPA Integrated Disclosures Loan Estimate Overview.
CORP. NMLS# For business and professional use only. Not for Consumer Distribution. NDC GFE Guide PMAC Lending Services, Inc., February, 2014 Disclaimer:
CFPB AND THE REO TRANSACTION
Presented by: Lacy Smith Wallace KAAR Affiliate Member Regions Bank.
TRID T ILA R ESPA I NTEGRATED D ISCLOSURE | Equal Housing Lender | NMLS | 4121 Gilmer Rd, Suite 200 Longview, TX Effective August 1 st, 2015.
Disclaimer This information presented in this presentation is for general information only, and is based on guidelines and practices generally accepted.
BROKER’S GUIDE TO TRID.
1 TRID TILA/RESPA Integrated Disclosures. 2 Any residential loan originated after October 3, 2015 will be subject to the new rules and forms set forth.
Consumer Financial Protection Bureau. Five Things You Need to Know Before August 2015.
1 * C O N F I D E N T I A L * Duplication and/or distribution of this document without prior written approval from BofI is strictly prohibited.
What REALTORS® Should Know About CFPB Changes Courtesy of:
Dodd-Frank Update TRID and Closings Eugene Marconi Legal Counsel Berkshire Hathaway HomeServices New England Properties.
1 TILA-RESPA Integrated Disclosures TRID Presented By: These materials are presented for informational purposes only and are not intended to constitute.
A Realtor’s Guide to… What you need to know before
Integrated Disclosures Zack Boonjue
TILA-RESPA INTEGRATED DISCLOSURES BY: MATTHEW R. FILPI ATTORNEY AT LAW.
UNDERSTANDING the New Loan Estimate and Closing Disclosure.
UNDERSTANDING the New Loan Estimate and Closing Disclosure.
Chapter 18 Escrow Procedures. The last step in the loan process is CLOSING, when the loan proceeds are distributed and a deed to the property is transferred.
Ruth Dillingham, Esq Special Counsel First American Title Insurance Company Shari Schneider, Esq National Compliance and Ethics Counsel Title Resource.
An Introduction to the CFPB
The Final RESPA Rule.
The New Loan Estimate & Closing Disclosure Explained
© 2015 Fidelity National Title Group
© 2015 Fidelity National Title Group
© 2015 Fidelity National Title Group
Deputy Assistant Secretary for Single Family Housing
Some of the Big tress in the forest
Module 1: Overview of the Integrated Mortgage Disclosure Forms
Teaching Aid for Closing Statement Exercise for Prelicensing
Module 3: The Closing Disclosure – Step by Step
Module 2: The Loan Estimate – Step by Step
Deputy Assistant Secretary for Single Family Housing
REVISED TRID KNOWLEDGE. CLARITY. RELIABILITY.
Deputy Assistant Secretary for Single Family Housing
Presentation transcript:

© 2015 Fidelity National Title Group a a Know before you close. The New Loan Estimate & Closing Disclosure Explained A look at the different sections of each new form and explanations of each page.

Five Things You Need to Know Before August © 2015 Fidelity National Title Group Know before you close.

3 © 2015 Fidelity National Title Group Know before you close.

The new form is 3 pages long New form replaces the GFE and Early TILA The creditor is not allowed to revise and re- disclose if charges go up or down prior to the closing Creditor errors are not legitimate reasons for revising Loan Estimates Loan Estimate| At-a-Glance 4 © 2015 Fidelity National Title Group Know before you close.

Five Things You Need to Know Before August 2015 Basic Information Loan Terms Projected Payments Costs at Closing Loan Estimate | pg.1 5 © 2015 Fidelity National Title Group

Basic Transaction Information Basic Loan Terms © 2015 Fidelity National Title Group The Loan Estimate

7 Information about the New Monthly Mortgage Payment Estimates amount borrower will need at closing The Loan Estimate

Five Things You Need to Know Before August 2015 Loan Costs Other Costs Calculating Cash to Close Loan Estimate | pg.2 8 © 2015 Fidelity National Title Group

9 Alphabetical Order - Cost descriptions in each section must be listed in alphabetical order Title Insurance and Settlement Charges - The description of each fee related to title insurance or settlement (escrow) must be preceded by “Title –” Lender’s Title Insurance – Purchase Transactions - Must show the full Loan Policy Rate, NOT the simultaneous issue rate often charged when an Owner’s policy is also issued The Loan Estimate

10 © 2015 Fidelity National Title Group Owner’s Title Insurance Rules -If to be paid by borrower, must show “(optional)” in description -Actual Charge not shown - for simultaneous issue, owner’s rate = Owner’s Rate + Simultaneous Issue Loan rate – Full Loan rate The Loan Estimate

Five Things You Need to Know Before August 2015 Comparisons Other Considerations Confirm Receipt Loan Estimate | pg.3 11 © 2015 Fidelity National Title Group

12 Various specific Loan calculations, including APR, required under TILA, RESPA or Dodd-Frank The Loan Estimate

13 The Loan Estimate

Lender must deliver within three business days of the lender’s receipt of an “application” Application – automatically occurs when lender receives six pieces of information: Borrower(s) Name(s) Income Social Security Number(s) Property Address Estimated Value of Property Mortgage Loan Amount Receiving the Loan Estimate 14 © 2015 Fidelity National Title Group The Loan Estimate

Except for credit report, no fees chargeable until after Loan Estimate is provided Lender must attach separate Provider List similar to that currently used with the GFE Must include all services which the borrower may need for the transaction (not just items for loan) Receiving the Loan Estimate 15 © 2015 Fidelity National Title Group The Loan Estimate

16 The Provider List

Know before you close. The new form is 5 pages long New form replaces the TILA and HUD-1 One closing disclosure is required for each loan Charge descriptions on both the loan estimate and closing disclosure must match Closing Disclosure | At-a-Glance 17 © 2015 Fidelity National Title Group

Five Things You Need to Know Before August 2015 Basic Information Loan Terms Projected Payments Costs at Closing 18 © 2015 Fidelity National Title Group Closing Disclosure| pg.1

19 Basic Transaction Information Closing Disclosure| pg.1 Close Disclosure

20 Description of Basic Loan Terms Closing Disclosure| pg.1

21 Information about the New Monthly Mortgage Payment Amount includes monthly obligations on property even if not included in impound amount Closing Disclosure| pg.1

22 Cash to Close – shows the buyer/borrower the amount necessary for closing

Five Things You Need to Know Before August 2015 Loan Costs Other Costs 23 © 2015 Fidelity National Title Group Closing Disclosure| pg.2

24 Alphabetical Order “Title –” designation on all Title and Settlement Fees Lender’s Title Rule Cost Descriptions Must be substantially similar to description on Loan Estimate Closing Disclosure| pg.2

25 © 2015 Fidelity National Title Group Owner’s Title Rule Closing Disclosure| pg.2

Five Things You Need to Know Before August 2015 Calculating Cash to Close Summaries of Transactions 26 © 2015 Fidelity National Title Group Closing Disclosure| pg.3

27 Comparison Table – shows the buyer/borrower a comparison of amounts from Loan Estimate v. Closing Disclosure Closing Disclosure| pg.3

28 © 2015 Fidelity National Title Group 28 Summary of Transactions – a summary of the transaction similar to page 1 of the HUD-1 Settlement form Closing Disclosure| pg.3

29 © 2015 Fidelity National Title Group Loan Disclosures – contains various lender disclosures required under TILA, RESPA or Dodd-Frank Closing Disclosure| pg.4

30 © 2015 Fidelity National Title Group Loan Calculations – Various specific Loan calculations, including Finance Charge and APR, required under TILA, RESPA or Dodd-Frank Other Disclosures – Various lender disclosures required under TILA, RESPA or Dodd-Frank Contact Information – Confirm Receipt – Closing Disclosure| pg.5

Closing Disclosure The Lender is primarily responsible for the preparation and delivery of the Closing Disclosure The Lender may permit the Settlement agent some portions or all of the form and/or deliver the form Settlement Agent liability – for those portions prepared or delivered Lender remains responsible for all portions of the Closing Disclosure to “ensure the disclosures are provided” in accordance with the rule Who prepares the new Closing Disclosure Form? 31 © 2015 Fidelity National Title Group

The 3-day right of rescission (“3-day rescission”) under TILA Presently applicable to most refinance transactions Not impacted by the Final Rule The 3-day waiting period (“3-day waiting”) after delivery of the Closing Disclosure, the Borrower has 3 days to review before a closing may occur The 3-day delivery period for delivery of the Closing Disclosure (“3-day delivery”) – Unless the Closing Disclosure is delivered personally, the Rule “deems” it delivered three business days later Period may be shortened by actual confirmation of receipt Three different three-day periods in closing 32 © 2015 Fidelity National Title Group Closing Disclosure

Disclosure Delivery Timing 33 © 2015 Fidelity National Title Group Closing Disclosure

Only a few changes will require another 3-day waiting period – Change in the loan program Example – moving from fixed rate to an adjustable rate loan Changes to Annual Percentage Rate (APR) greater than 1/8 % Applies only to increases in APR items, other increases do not trigger a new disclosure with waiting period. Caution – other increases may still cause tolerance violations The addition of a prepayment penalty fee after the initial disclosure But, all changes require a new Closing Disclosure to be prepared and delivered at or before “consummation”. Changes to initial Closing Disclosure after delivery 34 © 2015 Fidelity National Title Group Closing Disclosure

Closing Disclosure to the Seller Settlement Agent is responsible for providing the Closing Disclosure to the Seller Closing Disclosure format for the seller may be either: The same format as for Borrower, but items related solely to borrower (i.e., loan disclosures) and using only seller data; or Use the separate CFPB seller’s disclosure form Disclosure must be delivered to the Seller on or before “consummation”; no 3-day waiting period 3-business day delivery period applies, except for personal delivery. 35 © 2015 Fidelity National Title Group Closing Disclosure

36 Seller’s Disclosure

37

Tolerance Rule Changes Both TILA and RESPA previously contained tolerance rules: TILA rules generally required a re-disclosure if finance charges or APR exceeded threshold RESPA actually provided penalties (“tolerance violations”) if an item, or series of items, exceeded a monetary threshold 38 © 2015 Fidelity National Title Group Closing Disclosure

Tolerance Rule Changes Changes to tolerance rules Addition to “zero tolerance” category (may not change for numbers on Loan Estimate) Third Party Services where the provider is selected by the Lender Third Party Services provided by an affiliate of the Lender 39 © 2015 Fidelity National Title Group Closing Disclosure

Certain Non-RESPA Loans Now Covered – new disclosure forms will now be used for these loans Vacant Land Loans Construction-Only loans “25+ -Acre” Loans Other Rule Provisions 40 © 2015 Fidelity National Title Group Closing Disclosure

RESPA Loans Not Covered in Future – these loan will NOT be documented with the new forms Reverse mortgages Institutions originating 5 or fewer loans per year Loans will be documented using existing GFE and HUD-1 forms and rules Software systems (and personnel) must be able to operate in both environments and recognize the differences Other Rule Provisions 41 © 2015 Fidelity National Title Group Closing Disclosure

© 2015 Fidelity National Title Group Know before you close. Question?

© 2015 Fidelity National Title Group a a Know before you close. The New Loan Estimate & Closing Disclosure Explained A look at the different sections of each new form and explanations of each page.