The following webinar is no longer available.
If you have any questions or comments please give us a call at 1.800.348.1831 or
submit a form here and we will get back to you as soon as possible.
Please visit our Educational Services page for more webinars.
|Event Name:||Top 15 Issues with the New HMDA Rules|
|Date:||Monday, November 5, 2018 1:30pm CST|
||Jack Holzknecht (Bio)
Jack Holzknecht is the CEO of Compliance Resource, LLC. He has been delivering the word on lending compliance for 42 years. In 37 years as a trainer over 130,000 bankers (and many examiners) have participated in Jack’s live seminars and webinars. Jack’s career began in 1976 as a federal bank examiner. He later headed the product and education divisions of a regional consulting company. There he developed loan and deposit form systems and software. He also developed and presented training programs to bankers in 43 states. Jack has been an instructor at compliance schools presented by a number of state bankers associations. As a contractor he developed and delivered compliance training for the FDIC for ten years. He is a Certified Regulatory Compliance Manager and a member of the National Speakers Association.
|Credits:||2.5 CE Credit|
The world of HMDA changed dramatically on January 1, 2018. The final rules implementing changes to Regulation C required by the Dodd-Frank Wall Street Reform and Consumer Protection Act were generally effective on that date.
The modifications to HMDA were massive and many financial institutions are still dealing with the challenges of collecting data under the burdensome new requirements. This program provides the top 15 issues that may have been overlooked when implementing the new HMDA requirements.
This two-hour webinar provides insight into the muddy areas of HMDA which may result in erroneous data fields on the HMDA LAR and lead to violations. Participants receive a detailed manual that serves as a handbook long after the program is completed.
- Which institutions are covered by HMDA and Regulation C beginning in 2018 and how the coverage rules may change in future years;
- Challenges in determining if a structure is considered a dwelling, like a manufactured home versus mobile home;
- When you should report a mixed-use property as a dwelling;
- How to report multifamily residential structures, such as manufactured home communities;
- Clarification on reporting home improvement loans;
- HMDA reporting requirements for construction and permanent financing versus TRID requirements;
- The expanded clarification on temporary financing;
- Whether your financial institution can exempt closed-end mortgage loans and open-end lines of credit in 2018 and in future years;
- The purpose of the Legal Entity Identifier and its impact on the Universal Loan Identifier;
- Explanation of the census tract data field and forthcoming geocoding tool available from the CFPB;
- Detailed requirements related to the collection of ethnicity, race, and sex of applicants and borrowers;
- Challenges with reporting the rate spread;
- Where to locate specific fees from the Loan Estimate and Closing Disclosure required to be reported on the HMDA LAR;
- When and how to report the use of an Automated Underwriting System; and
- Steps to identify and eliminate reporting errors and thereby avoid penalties.
Bonus item - Discussion of HMDA exemption contained in the Economic Growth, Regulatory Relief and Consumer Protection Act.
Who Should Attend?
The program is designed for loan officers, compliance officers, loan processors and clerks and auditors.