CREATORS OF THE COMPLIANCE TUNE-UP®

AARMR | ABA | ACAMS | ALTA | ARMCP | IAPP | IIA | MBA | MERS® | MISMO | NAMB

Showing posts with label MCR. Show all posts
Showing posts with label MCR. Show all posts

Tuesday, May 17, 2011

Mortgage Call Reports – FREE Information Kit, Deadlines, Workshops, and FAQs

Filing deadline for the first quarter 2011 was on May 15, 2011. However, updates to the NML took place on Saturday, May 14, 2011, and that update may have affected the ability to file. It is likely that there will be some leeway by the relevant regulatory agencies - but not an obligation - to permit late filers to avoid administrative penalties if the MCR filing takes place within the next few days. The MCR filing must be done even if the company did not conduct any residential mortgage loan activity during the reporting period.

Free Information Kit   
        • FAQs - Mortgage Call Reports - Article, by Jonathan Foxx
        • Privacy Guidelines of NMLS - Synopsis, by Jonathan Foxx
        • NMLS Library Section of Lenders Compliance Group
        • Navigation Guide for Mortgage Call Reports
        • Mortgage Call Report Basics
        • Amending the Mortgage Call Report
        • Requirements by Jurisdiction
        • Practice Worksheet - Standard
        • Field Definitions
        • Expanded Section - Instructions
        • Examples: Wholesale Lender, Retail Lender, Reverses Lender, Mortgage Broker
        • Suite of Services - Lenders Compliance Group
        • NMLS Users Forum - Sponsored by Lenders Compliance Group

Line-Webpage

DEADLINES FOR MORTGAGE CALL REPORT

Residential Mortgage Loan Activity
Due quarterly, within 45 days after every calendar quarter:
  • Quarter 1 data (January 1-March 31) is due May 15
  • Quarter 2 data (April 1- June 30) is due August 14
  • Quarter 3 data (July 1-September 30) is due November 14
  • Quarter 4 data (October 1-December 31) is due February 14
Financial Condition
Due annually, within 90 days of company’s Fiscal Year End

Line-Webpage

SOME FAQS
01Q: Am I required to file the Mortgage Call Report?

A: The Mortgage Call Report must be filed by all licensed Mortgage Brokers, Mortgage Bankers, Wholesale Lenders, Retail Lenders, and companies who make, service, or broker loans secured by residential real estate. The report must also be filed by all exempt companies who employ licensed mortgage loan originators. The report must be filed whether or not any business has been conducted under the license. 

02Q: Do branch offices and originators have to file the Mortgage Call Report?

A: No. The Mortgage Call Report is filed by the Mortgage Broker and Consumer Loan Companies and covers activities for branch offices and originators.

03Q: Do consumer loan licensees who make personal property loans have to file the Mortgage Call Report?

A: No. The Mortgage Call Report must be filed by licensees who make, service or broker loans secured by residential real estate.

04Q: When and what information do companies submit on the Mortgage Call Report if their fiscal year is not a calendar year?

A: The Mortgage Call Report must be submitted within 45 days of the end of the calendar quarter, not a company’s fiscal quarter. The activity information must reflect the data from the calendar quarter.

05Q: Is there a cost for submitting the NMLS Mortgage Call Report?

A: A processing fee will not be imposed in 2011 for filing the Mortgage Call Report. A decision is expected later in the year about any processing fees associated with filing the Mortgage Call Reports for 2012.

06Q: My company operates in multiple states. Do I file the NMLS Mortgage Call Report for each state?

A: Only one Mortgage Call Report is filed per company per quarter. This report includes break out data for each state in which the company is licensed or has licensed mortgage loan originators.

07Q: If I am an approved Fannie Mae or Freddie Mac Seller/Servicer or a Ginnie Mae Issuer but I currently don’t service any loans or issue mortgage pools, do I have to complete the Mortgage Call Report?

A: All state licensed companies or companies employing state licensed MLOs must complete the Mortgage Call Report even if they have had no activity during the reporting period. Companies that did not have activity during a particular quarter will be able to indicate this on the Mortgage Call Report. The system will require companies that have indicated on the MU1 Other Business Section that they are an approved Fannie Mae or Freddie Mac Seller/Servicer or Ginnie Mae Issuer to complete the Expanded Mortgage Call Report.

08Q: I am an approved Fannie Mae or Freddie Mac Seller/Servicer or a Ginnie Mae Issue but I currently do not complete the Mortgage Bankers' Financial Reporting Form (MBFRF), do I have to complete the Mortgage Call Report?

A: All state licensed companies or companies employing state licensed MLOs must complete the Mortgage Call Report even if they have had no activity during the reporting period or have not completed the Mortgage Bankers' Financial Reporting Form (MBFRF). If your state licensed company (or you are a company employing state licensed MLOs) is a Fannie Mae or Freddie Mac Seller/Servicer or Ginnie Mae Issuer, you must file the Expanded Mortgage Call Report. Companies that did not have activity during a particular quarter will be able to indicate this on the Mortgage Call Report.

09Q: I am a state licensed subsidiary of a federally regulated institution. Do I have to complete the Mortgage Call Report?

A: All state-licensed companies or companies employing state-licensed MLOs must complete the Mortgage Call Report.

10Q: If my institution is only federally-registered on NMLS and we only employ federally-registered MLOs, must we submit the Mortgage Call Report?

A: Currently only state-licensed companies and companies employing state-licensed MLOs must complete the Mortgage Call Report.

11Q: What do I include in the Broker Fee and Lender Fee fields of Residential Mortgage Loan Activity (RMLA) Section I?

A: Include all fees that your company has collected and retained. Examples include, but are not limited to, origination fees, application fees, servicing release premiums (SRP), and yield spread premiums (YSP). Do not include pass through fees. Note that compensation paid to MLOs is not considered a pass through fee.

12Q: How do I report my MLOs on the Mortgage Call Report?

A: You must enter the NMLS ID of the MLO along with the dollar amount and count of the residential loans that MLO closed during the reporting period. If the MLO had no activity, you would enter zeroes in the amount and count fields but the MLO must be listed for each state they hold a license.

13Q: What if my company had no MLOs during the reporting period?

A: When making the Mortgage Call Report filing, you will have the opportunity to enter information for any of your state licensed MLOs. If you do not have any state licensed MLOs during a reporting period, you would leave this section blank and attest to the filing before submission.

14Q: How do we report warehouse lines of credit?

A: Currently, you must list your warehouse lines of credit on each Residential Mortgage Loan Activity (RMLA) component. While each Residential Mortgage Loan Activity (RMLA) component is reported by state, the lines of credit should reflect all lines of credit the company holds.

15Q: Will the Mortgage Call Report be made available to the public?

A: Company specific reports will not be made publicly available. Aggregate data may be released to the public at a future date.

16Q: What happens to my data once it is submitted?

A: NMLS will process the data and release reports to state regulators on the submitted data. State regulators may also review individual company Mortgage Call Report filings within the system.

17Q: What amount do I report under the application amount, the initial amount on the application or the amount the application closes if it changes?

A: The initial amount on the application should be used when completing the Application data in the Mortgage Call Report.

18Q: What do you mean by “application” for the Mortgage Call Report?

A: Application is defined in the Mortgage Call Report as “an oral or written request for a home purchase loan, a home improvement loan, or a refinancing that is made in accordance with procedures used by a financial institution for the type of credit requested.” The Mortgage Call Report primarily relies on the Regulation B (ECOA) use and definition of application and generally follows Regulation C (HMDA) reporting requirements.

19Q: What happens if we do not file an Mortgage Call Report?

A: A company will be denied license renewal if any quarterly Mortgage Call Report filing is missing or if there are any related administrative penalties still outstanding.

20Q: Is the reporting activity information on the Residential Mortgage Loan Activity (RMLA) component by state based on the location of the property?

A: Yes, the activity information is based on the location of the property and reported by state.
More FAQs from NMLS

Line-Webpage

WORKSHOPS

At this time, only one NMLS-sponsored workshop is offered:


NOTE: In order to register for this event, you will need to create a login ID on the CSBS website. You cannot use your NMLS login ID.

Separator-Glow

Tuesday, May 3, 2011

Mortgage Call Reports–FREE Information Kit!

As a courtesy to you, we want you to have a helpful FREE Information Kit to assist in preparation for filing the Mortgage Call Report (MCR).
Filing Deadline: 1st Quarter 2011 - May 15, 2011.
See Below For FREE Information Kit! 
 Line-Webpage
 POLICIES AND PROCEDURES 
Draft and implement policies and procedures to:
(a) prepare and submit MCRs for an entity, and
(b) prepare and submit MCRs for individual MLOs.

Line-Webpage
ACTION
1. Review NMLS requirements and forms for the MCR.
2. Prepare MCR data requirements for 1/1/11 to 3/31/11.
3. Submit the MCR by May 15, 2011.

Line-Webpage
 TRAINING
NMLS moderated conference call and webinars:
  • Thursday, May 5, 2011 from 3:30 - 5:00 pm ET
  • Monday, May 9, 2011 from 1:30 - 3:00 pm ET
  • Tuesday, May 10, 2011 from 1:30 - 3:00 pm ET 
    Line-Webpage
     QUARTERLY FILING
    All state-licensed companies or all state-registered companies that employ licensed mortgage loan originators.
    Line-Webpage
    WHO - WHAT - WHEN - WHERE – HOW 
     Who files? All state licensed companies or companies employing state licensed mortgage loan originators.
    Entities or Individual MLOs? Some states are still not licensing via the NMLS; consequently, MLOs must submit Mortgage Call Reports if licensed in those states.
    Annual and Quarterly Reports? Many State Banking Departments have indicated that they will accept the NMLS Mortgage Call Report as satisfaction of their state specific reporting requirements.
    How do multiple state licensees file? Only one NMLS Mortgage Call Report is filed per company per quarter, including break out data for each state in which the company is licensed and/or has licensed mortgage loan originators.
    Timeframe? Information must be submitted within 45 days of the end of a calendar quarter. The information must reflect the data from that calendar quarter. 

    Line-Webpage
     MORTGAGE CALL REPORT
    Free Information Kit
    • NMLS Users Forum - Website - Sponsored by Lenders Compliance Group
    • FAQs - Mortgage Call Reports - Article - Authored by Jonathan Foxx
    • NMLS Library Section of Lenders Compliance Group
    • NMLS Mortgage Call Report Basics - NMLSR
    • Privacy Guidelines of NMLS - Synopsis - Authored by Jonathan Foxx
    • Mortgage Call Report Requirements by Jurisdiction - NMLSR
    • Practice Worksheet - Standard - May 2011 - NMLSR
    • NMLS Field Definitions - NMLSR
    • Expanded Section - Instructions - NMLSR
    • Examples: Wholesale Lender, Retail Lender, Reverses Lender, Broker
    • Suite of Services - Lenders Compliance Group 

      Friday, March 25, 2011

      Mortgage Call Reports - Get Ready!

      Foxx_(2009.04.02)

      Jonathan Foxx is a former Chief Compliance Officer of two publicly traded financial institutions, and the President and Managing Director of Lenders Compliance Group, the nation’s first full-service, mortgage risk management firm in the country.



      I think you will be interested in reading my newest article.
      It is published in the March edition of the National Mortgage Professional Magazine, the publication that is considered the premier mortgage industry magazine for mortgage originators.
      This article provides FAQs for filing the NMLS Mortgage Call Report (MCR). It also provides an in depth outline and includes charts.
      MCR filing will now be required, commencing with the first calendar quarter of 2011. It is being fully activated on the Nationwide Mortgage Licensing System & Registry (NMLSR) website.  
      I am pleased to share this article now with you, our valued clients and colleagues. Our monthly compliance clients received an Advance Copy one month ago. 
      We provide expert guidance in all areas of residential mortgage compliance.
      If you are not yet a client, shouldn't you become one?
      We are the first full-service, mortgage risk management firm in the country devoted exclusively to residential mortgage compliance.
       
      Regards,
      Jonathan Foxx
      Lenders Compliance Group
      President and Managing Director

      Line-Webpage 
      Excerpt
      FAQs:
      WHO-WHAT-WHEN-WHERE-HOW (BUT NOT WHY!)  
      Filing of the MCR is required by the Secure and Fair Enforcement for Mortgage Licensing Act (S.A.F.E. Act or Act) - the same Act that requires licensing and registration of Mortgage Loan Originators (MLOs)  - as codified in the following provision:
      "MORTGAGE CALL REPORTS -- Each mortgage licensee shall submit to the National Mortgage Licensing System and Registry reports of condition, which shall be in such form and shall contain such information as the Nationwide Mortgage Licensing System and Registry may require."  (My emphases)
      Read More-1